Baudoux et al v. California Physicians' Service
Filing
15
STIPULATION to Move Arbitration Deadline and ORDER Thereon, signed by Judge Oliver W. Wanger on 3/2/2011. (Current arbitration date of April 7, 2011 is continued to a later date to occur on or before 11/30/2011, as available on the parties, attorneys and arbitrators calendar.)(Gaumnitz, R)
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CAMPAGNE & CAMPAGNE A PROF. CORP. AIRPORT OFFICE CENTER 1685 NORTH HELM AVENUE FRESNO, CALIFORNIA 93727 TELEPHONE (559) 255-1637 FAX (559) 252-9617
Thomas E. Campagne, #065375 Mary F. Lerner, #235951 Campagne, Campagne & Lerner A Professional Corporation Fresno Airport Office Center 1685 North Helm Avenue Fresno, California 93727 Telephone: (559) 255-1637 Facsimile: (559) 252-9617 Attorneys for Plaintiffs
UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA AT FRESNO GUY BAUDOUX, an individual, MARSHALL S. FLAM, M.D., an individual and SHELAGH WEBSTER, an individual. ) ) Case No. 10-CV-01950-OWW-DLB ) ) ) STIPULATION TO MOVE Plaintiffs, ) ARBITRATION DEADLINE ) vs. ) AND ) CALIFORNIA PHYSICIANS' ) ORDER THEREON SERVICE, a non-profit corporation, dba ) BLUE SHIELD OF CALIFORNIA ) ) Defendant. ) RECITALS A. WHEREAS, the Court's prior Arbitration Order required completion
of Arbitration within 180 days from November 17, 2010, B. until January 2011; C. WHEREAS, the initial conference call with the JAMS Arbitrator did WHEREAS, the Arbitrator in this matter was not appointed by JAMS
not occur until February 16, 2011;
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STIPULATION TO MOVE ARBITRATION DEADLINE AND ORDER THEREON
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CAMPAGNE & CAMPAGNE A PROF. CORP. AIRPORT OFFICE CENTER 1685 NORTH HELM AVENUE FRESNO, CALIFORNIA 93727 TELEPHONE (559) 255-1637 FAX (559) 252-9617
D.
WHEREAS, the above-captioned parties currently have an arbitration
scheduled for April 7, 2011, before JAMS Arbitrator Hon. David A. Garcia (Ret.), so as to meet the initial 180 day deadline; E. WHEREAS the aforementioned parties to the above-described Case
No. 10-CV-01950-OWW-DLB wish to continue to participate in the meet and confer process in an effort to resolve their disputes without further litigation/arbitration; NOW THEREFORE, it is hereby stipulated, by and between the parties to this action through their respective counsel as follows: 1. 2. The above recitals are adopted by the parties; The parties hereby stipulate to move the current arbitration date of
April 7, 2011, to a later date to occur on or before November 30, 2011, as available on the parties', attorneys' and arbitrator's calendar. IT IS SO STIPULATED: Dated: March 1, 2011 Campagne, Campagne & Lerner /s/ Mary F. Lerner Mary F. Lerner Attorneys For Plaintiffs Guy Badoux, Marshall Flam, M.D. and Shelagh Webster Dated: March 1, 2011 Musick Peeler & Garrett LLP By: /s/ Peter Diedrich Peter Diedrich, Esq. Attorneys For Defendant California Physician's Service dba Blue Shield
IT IS SO ORDERED. Dated:
March 2, 2011
DEAC_Sig nature-END:
/s/ Oliver W. Wanger
UNITED STATES DISTRICT JUDGE
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STIPULATION TO MOVE ARBITRATION DEADLINE AND ORDER THEREON
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