Hernandez et al v. Kern County Medical Center et al

Filing 12

ORDER re Stipulation for Continuance of Joint Scheduling Conference 11 , signed by Magistrate Judge Jennifer L. Thurston on 6/26/2013. Initial Scheduling Conference CONTINUED to 9/12/2013 at 09:00 AM at the United States Courthouse, 510 19th Street (JLT), Bakersfield, before Magistrate Judge Jennifer L. Thurston. (Hall, S)

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1 2 3 4 BENJAMIN B. WAGNER United States Attorney ALYSON A. BERG Assistant United States Attorney 2500 Tulare Street, Suite 4401 Fresno, California 93721 Telephone: (559) 497-4000 Facsimile: (559) 497-4099 5 6 Attorneys for Defendant United States 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 12 13 14 15 16 17 18 JASMIN DELILA HERNANDEZ, a Minor, by and ) through her Guardian Ad Litem, NOHEMI ) Case No. 1:13-cv-00500-LJO-JLT GALLEGOS, and NAHEMI GALLEGOS, ) ) STIPULATION FOR CONTINUANCE Plaintiffs, ) OF JOINT SCHEDULING ) CONFERENCE; ORDER v. ) ) (Doc. 11) KERN COUNTY MEDICAL CENTER; ) COUNTY OF KERN, a Municipal Corporation; ) DELANO REGIONAL MEDICAL CENTER; ) ERIC P. HOFFMAN, M.D.; LAWRENCE S. ) GARCIA, M.D.; and DOES 1-30, ) ) Defendants. ) ) 19 Plaintiffs, JASMIN DELILA HERNANDEZ, a Minor, by and through her Guardian Ad 20 Litem, NOHEMI GALLEGOS, and NAHEMI GALLEGOS (“Plaintiffs”), Defendant UNITED 21 STATES (“United States”), Defendant KERN COUNTY MEDICAL CENTER; COUNTY OF 22 KERN, a Municipal Corporation; and Defendant ERIC P. HOFFMAN, M.D (collectively “the 23 parties”) stipulate, by and through the undersigned counsel, to continue the date of the scheduling 24 conference currently set for July 19, 2013 at 8:30 a.m. before Magistrate Judge Thurston to 25 September 12, 2013 at 9:00 a.m. before Magistrate Judge Thurston. 26 /// 27 /// 28 /// 29 STIPULATION FOR CONTINUANCE OF JOINT SCHEDULING CONFERENCE; ORDER 30 1 The parties base this stipulation on good cause, which includes the need for potential defendant 1 2 DELANO REGIONAL MEDICAL CENTER to resolve the issues with service and the United States to 3 respond to the Second Amended Complaint. The parties agree that this short continuance will not cause 4 any prejudice to the parties as this action was recently commenced. Accordingly, the parties stipulate and agree to continue the scheduling conference as specified 5 6 below, and base it on the above-stated good cause. The parties request the court to endorse this 7 stipulation by way of formal order. Old Date 8 9 Scheduling Conference New Date July 19, 2013 September12, 2013 @ 9:00 10 Respectfully submitted, 11 12 Dated: June 26, 2013 13 BENJAMIN B. WAGNER UNITED STATES ATTORNEY 14 /s/Alyson A. Berg Alyson A. Berg Assistant United States Attorney Attorneys for Defendant United States 15 16 17 Dated: June 26, 2013 LAW OFFICE OF MAURO FIORE, JR. 18 19 /s/Mauro Fiore, Jr. Mauro Fiore, Jr. Attorneys for Plaintiffs 20 21 Dated: June 26, 2013 CLINKENBEARD, RAMSEY, SPACKMAN & CLARK 22 23 /s/Barbara A. Carroll Barbara A. Carroll Attorneys for Defendants Kern Medical Center and County of Kern 24 25 26 /// 27 /// 28 /// 29 STIPULATION FOR CONTINUANCE OF JOINT SCHEDULING CONFERENCE; ORDER 30 2 1 Dated: June 26, 2013 LEBEAU THELEN 2 3 /s/John Jurich John Jurich Attorneys for Defendant Eric P. Hoffman 4 5 ORDER 6 7 8 9 IT IS SO ORDERED. Dated: June 26, 2013 /s/ Jennifer L. Thurston UNITED STATES MAGISTRATE JUDGE 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 STIPULATION FOR CONTINUANCE OF JOINT SCHEDULING CONFERENCE; ORDER 30 3

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