Hernandez et al v. Kern County Medical Center et al
Filing
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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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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
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Attorneys for Defendant United States
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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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;
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COUNTY OF KERN, a Municipal Corporation;
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DELANO REGIONAL MEDICAL CENTER;
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ERIC P. HOFFMAN, M.D.; LAWRENCE S.
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GARCIA, M.D.; and DOES 1-30,
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Defendants.
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Plaintiffs, JASMIN DELILA HERNANDEZ, a Minor, by and through her Guardian Ad
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Litem, NOHEMI GALLEGOS, and NAHEMI GALLEGOS (“Plaintiffs”), Defendant UNITED
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STATES (“United States”), Defendant KERN COUNTY MEDICAL CENTER; COUNTY OF
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KERN, a Municipal Corporation; and Defendant ERIC P. HOFFMAN, M.D (collectively “the
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parties”) stipulate, by and through the undersigned counsel, to continue the date of the scheduling
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conference currently set for July 19, 2013 at 8:30 a.m. before Magistrate Judge Thurston to
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September 12, 2013 at 9:00 a.m. before Magistrate Judge Thurston.
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STIPULATION FOR CONTINUANCE OF JOINT SCHEDULING CONFERENCE; ORDER
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The parties base this stipulation on good cause, which includes the need for potential defendant
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DELANO REGIONAL MEDICAL CENTER to resolve the issues with service and the United States to
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respond to the Second Amended Complaint. The parties agree that this short continuance will not cause
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any prejudice to the parties as this action was recently commenced.
Accordingly, the parties stipulate and agree to continue the scheduling conference as specified
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below, and base it on the above-stated good cause. The parties request the court to endorse this
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stipulation by way of formal order.
Old Date
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Scheduling Conference
New Date
July 19, 2013
September12, 2013 @ 9:00
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Respectfully submitted,
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Dated: June 26, 2013
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BENJAMIN B. WAGNER
UNITED STATES ATTORNEY
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/s/Alyson A. Berg
Alyson A. Berg
Assistant United States Attorney
Attorneys for Defendant United States
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Dated: June 26, 2013
LAW OFFICE OF MAURO FIORE, JR.
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/s/Mauro Fiore, Jr.
Mauro Fiore, Jr.
Attorneys for Plaintiffs
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Dated: June 26, 2013
CLINKENBEARD, RAMSEY, SPACKMAN & CLARK
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/s/Barbara A. Carroll
Barbara A. Carroll
Attorneys for Defendants Kern Medical Center
and County of Kern
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STIPULATION FOR CONTINUANCE OF JOINT SCHEDULING CONFERENCE; ORDER
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Dated: June 26, 2013
LEBEAU THELEN
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/s/John Jurich
John Jurich
Attorneys for Defendant Eric P. Hoffman
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ORDER
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IT IS SO ORDERED.
Dated:
June 26, 2013
/s/ Jennifer L. Thurston
UNITED STATES MAGISTRATE JUDGE
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STIPULATION FOR CONTINUANCE OF JOINT SCHEDULING CONFERENCE; ORDER
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