Moore v. McKenney et al
Filing
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STIPULATION and ORDER to Extend Defendants Kate Hoeung Sokleap dba Platinum Beauty Salon; Troy A. McKenney; Debra A. McKenney; and Michael Souza dba BJ's Kountry Kitchen's Deadline to Respond to Plaintiff's Complaint: Defendants' response to complaint by 7/22/2014. NOTE: Plaintiff will have to provide a copy of this Order to defendant Michael Souza by US Mail. signed by Magistrate Judge Barbara A. McAuliffe on 6/30/2014. (Herman, H)
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Keith M. White #188536
COLEMAN & HOROWITT, LLP
Attorneys at Law
499 West Shaw, Suite 116
Fresno, California 93704
Telephone: (559) 248-4820
Facsimile: (559) 248-4830
Attorneys for Defendant, Sokleap Kate
Hoeung, dba Platinum Beauty Salon,
erroneously sued as Kate Hoeung Sokleap
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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RONALD MOORE,
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CASE NO. 1:14-cv-00582-AWI-BAM
Plaintiff,
STIPULATION AND ORDER TO
EXTEND DEFENDANTS KATE
HOEUNG SOKLEAP dba PLATINUM
BEAUTY SALON; TROY A.
McKENNEY; DEBRA A. McKENNEY;
and, MICHAEL SOUZA dba BJ’S
KOUNTRY KITCHEN’S DEADLINE
TO RESPOND TO PLAINTIFF’S
COMPLAINT
v.
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TROY A. McKENNEY; DEBRA A.
McKENNEY; MICHAEL SOUZA dba
BJ’S KOUNTRY KITCHEN; KATE
HOEUNG SOKLEAP dba PLATINUM
BEAUTY SALON;
Defendants.
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WHEREAS the parties hereto wish additional time to attempt resolution of the matter without
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incurring fees and costs associated with filing responsive pleadings;
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WHEREAS the parties wish to conserve the Court’s resources and time;
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WHEREAS Defendants have completed an inspection by a licensed California access
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specialist and are in the process of developing a plan for remediation of the access issues
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identified;
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WHEREAS the parties agree that once the remediation plan is complete, it is likely that
the case will settle without further use of the Court’s resources and time;
IT IS STIPULATED by and between Plaintiff, RONALD MOORE, and Defendants,
KATE HOEUNG SOKLEAP dba PLATINUM BEAUTY SALON; TROY A. McKENNEY;
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DEBRA A. McKENNEY, through their respective counsel, and MICHAEL SOUZA dba BJ’S
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KOUNTRY KITCHEN, in pro per, (“Defendants”), that Defendants shall have, and hereby are
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granted an extension of time to and including July 22, 2014, to file and serve their responsive
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pleadings to Plaintiff’s Complaint on file herein.
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Dated: June 25, 2014
MOORE LAW FIRM, P.C.
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By:___/s/ Tanya E. Moore______________
TANYA E. MOORE
Attorneys for Plaintiff
RONALD MOORE
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Dated: June 25, 2014
GILMORE, WOOD, VINNARD & MAGNESS
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By:
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Dated: June 25, 2014
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COLEMAN & HOROWITT, LLP
By:____/s/ Keith M. White_______________
KEITH M. WHITE
Attorneys for Defendant,
SOKLEAP KATE HOEUNG
dba PLATINUM BEAUTY SALON,
erroneously sued as KATE HOEUNG SOKLEAP
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/s/ Daniel W. Rowley
DANIEL W. ROWLEY
Attorneys for Defendants
TROY A. McKENNEY & DEBRA A.
McKENNEY
Dated: June 25, 2014
By:
/s/ Michael Souza
Defendant, MICHAEL SOUZA dba
BJ’S KOUNTRY KITCHEN, in pro per
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I attest that the original signature of the person whose electronic signature is shown above is
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maintained by me, and that his concurrence in the filing of this document was obtained.
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By:____/s/ Keith M. White_______________
KEITH M. WHITE
Attorneys for Defendant,
SOKLEAP KATE HOEUNG
dba PLATINUM BEAUTY SALON,
erroneously sued as KATE HOEUNG SOKLEAP
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ORDER
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Pursuant to Local Rule 144, and for good cause being shown, the Court HEREBY grant’s the
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parties Stipulation to Extend Defendants’ time to File Responsive Pleadings to Plaintiff’s Complaint
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up-to and including July 22, 2014.
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IT IS SO ORDERED.
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Dated:
/s/ Barbara
June 30, 2014
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A. McAuliffe
UNITED STATES MAGISTRATE JUDGE
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