Vasquez et al v. Coast Roofing

Filing 51

STIPULATION and ORDER signed by Judge Oliver W. Wanger on 9/1/2009 for modified Scheduling Order. (Lundstrom, T)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STAN S. MALLISON (SBN 184191) HECTOR R. MARTINEZ (SBN 206336) MARCO A. PALAU (SBN 242340) LAW OFFICES OF MALLISON & MARTINEZ 1042 Brown Avenue, Suite A Lafayette, CA 94549 Telephone: (925) 283-3842 Facsimile: (925) 283-3426 DANIEL K. KLINGENBERGER, #131134 DAVID A. DIXON, #221401 DOWLING, AARON & KEELER, INC. Attorneys and Counselors at Law 5060 California Avenue, Suite 620 Bakersfield, CA 93309 Telephone: 661.716.3000 Facsimile No.: 661.716.3005 Attorneys for Defendant COAST VALLEY ROOFING dba COAST ROOFING UNITED STATES DISTRICT COURT UNITED STATES FEDERAL DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA ENRIQUEZ VASQUEZ and JUAN ANDRES RUIZ on behalf of a class of similarly situated employees,, Plaintiff, v. COAST VALLEY ROOFING, INC. dba COAST ROOFING, Defendant. No. 1:07-cv-00227-OWW-DLB STIPULATION FOR MODIFIED SCHEDULING ORDER Counsel for all Parties to the above-captioned action (including the Plaintiff and all named Defendants) have conferred in good faith with regard to case management and calendaring and have agreed to the following stipulation and stipulated request seeking the Court's approval: 1. On April 29, 2008, this Court, following an initial scheduling conference, entered a Scheduling Conference Order (Docket No. 17). 2. Since April 29, the parties, in good faith, have proceeded in accordance with that Order, including completion of alternative dispute resolution via mediation. STIPULATION FOR MODIFIED SCHEDULING ORDER 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3. The counsel for the parties have executed a settlement agreement to resolve this matter, and plaintiffs anticipate filing a motion seeking the Court's preliminary approval of same within the next two (2) weeks. Therefore, the parties have stipulated to a revised Scheduling order, the approval of which they currently seek from this Court. 4. The parties have agreed to stipulate that all pending deadlines in this matter be continued indefinitely, until the Court sets a new Scheduling Order following plaintiff's filing the anticipated motion seeking preliminary approval of the Settlement Agreement. 5. The parties submit this Stipulation in good in an effort to postpone the various deadlines that otherwise would arise in the coming weeks as they prepare the finalized settlement agreement. SO STIPULATED: Dated: August 13, 2009 _____ By: __/s/ David A. Dixon_______________________ DAVID A. DIXON DOWLING, AARON & KEELER, INC. Attorneys and Counselors at Law Attorneys for Defendant COAST VALLEY ROOFING dba COAST ROOFING Dated: August 13, 2009 By: _/s/ Stan Mallison _________________________ ______________ STAN MALLISON MALLISON & MARTINEZ Attorneys for Plaintiffs ENRIQUEZ VASQUEZ & JUAN ANDRES RUIZ SO ORDERED. Dated:__9/1/2009 By: _ /s/ OLIVER W. WANGER___________________ United States District Court Judge Oliver W. Wanger STIPULATION FOR CONTINUANCE OF MANDATORY SETTLEMENT CONFERENCE -2-

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