Reich, et al v. Calvary Investments

Filing 153

STIPULATION and ORDER Re Further Revision to Post-Trial Briefing Schedule, signed by Magistrate Judge Dennis L. Beck on 8/7/09: Reich's Reply due no later than 8/27/2009; Reich's Oppositions due no later than 9/4/2009.(Hellings, J)

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1 MICHAEL J. JURKOVICH 148895 DOUGLAS TUCKER 172550 2 HENRY Y. CHIU 222927 KIMBLE, MacMICHAEL & UPTON 3 A Professional Corporation 5260 North Palm Avenue, Suite 221 4 Fresno, California 93704-2215 Telephone: (559) 435-5500 5 Facsimile: (559) 435-1500 6 Attorneys for Defendant, CAVALRY INVESTMENTS, LLC 7 8 9 10 11 12 JEFF REICH, individually and doing business as THE REICH LAW FIRM, 13 Plaintiff, 14 vs. 15 CAVALRY INVESTMENTS, LLC, 16 Defendant. 17 18 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA FRESNO DIVISION *** Case No. CIV. F-04-5546 REC DLB STIPULATION AND ORDER RE. FURTHER REVISION TO POST-TRIAL BRIEFING SCHEDULE The following is hereby recited, stipulated and agreed between plaintiff Jeff Reich, 19 individually and doing business as The Reich Law Firm ("Reich") and defendant Cavalry 20 Investments, LLC ("Cavalry"): 21 22 23 24 25 26 27 LAW OFFICES 1. The parties previously stipulated to a post-trial briefing schedule, which was subsequently ordered by the Court. The parties now stipulate to revise said briefing schedule as follows, and respectfully request a Court Order for the same. 2. Reich's Reply to Cavalry's Closing Brief and Non-Stipulated Proposed Findings of Fact and Conclusions of Law shall be filed with the Court, and served on counsel for Cavalry, no later than August 27, 2009. Said Reply shall respond only to matters addressed in Cavalry's Closing Brief and Non-Stipulated Proposed Findings of Fact and Conclusions of Law. Any new matter shall be stricken. 1 STIPULATION AND ORDER RE. FURTHER REVISION TO POST-TRIAL BRIEFING SCHEDULE 28 Kimble, MacMichael & Upton A PROFESSIONAL CORPORATION 5260 NORTH PALM AVENUE SUITE 221 P. O. Box 9489 FRESNO, CA 93792-9489 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 3. Cavalry has also filed: (i) a Motion to Strike Reich's Request to Move Exhibits 69 and/or 119 into Evidence; and (ii) a Motion to Strike a Portion of Plaintiff's Closing Brief and Plaintiff's Accompanying Appendix A. Reich's oppositions to said motions shall be filed with the Court, and served on counsel for Cavalry, no later than September 4, 2009. Dated: August 3, 2009. KIMBLE, MacMICHAEL & UPTON A Professional Corporation By: /s/ Henry Y. Chiu HENRY Y. CHIU Attorney for Defendant, CAVALRY INVESTMENTS, LLC Dated: August 3, 2009. CORNWELL & SAMPLE, LLP A Limited Liability Partnership By: /s/ Stephen R. Cornwell STEPHEN R. CORNWELL Attorney for Plaintiff, JEFF REICH, individually and dba THE REICH LAW FIRM ORDER 20 IT IS SO ORDERED. 21 22 DEAC_Signature-END: Dated: 3b142a August 7, 2009 /s/ Dennis L. Beck UNITED STATES MAGISTRATE JUDGE 23 24 25 26 27 LAW OFFICES 28 2 STIPULATION AND ORDER RE. FURTHER REVISION TO POST-TRIAL BRIEFING SCHEDULE Kimble, MacMichael & Upton A PROFESSIONAL CORPORATION 5260 NORTH PALM AVENUE SUITE 221 P. O. Box 9489 FRESNO, CA 93792-9489

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