K.E.C. v. County of Kern, et al.
Filing
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STIPULATION and ORDER #49 Continuing the Mandatory Settlement Conference, signed by Magistrate Judge Jennifer L. Thurston on 4/25/2016. Settlement Conference CONTINUED to 5/17/2016 at 01:30 PM in Bakersfield at 510 19th Street (JLT) before Magistrate Judge Jennifer L. Thurston. (Hall, S)
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THERESA A. GOLDNER, COUNTY COUNSEL
By: Marshall S. Fontes, Deputy (SBN 139567)
Kern County Administrative Center
1115 Truxtun Avenue, Fourth Floor
Bakersfield, CA 93301
Telephone 661-868-3800
Fax 661-868-3805
Attorneys for Defendants
County of Kern, Deputy Jason Ayala
and Deputy Joshua Bathe
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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KEANU ETHAN CAMPOS, a minor, by
and through his Guardian ad Litem,
Deniz Gonzalez,
Plaintiffs,
vs.
COUNTY OF KERN, a public entity;
DEPUTY JASON AYALA, a public
employee; DEPUTY JOSHUA BATHE, a
public employee; and DOES 1 - 10,
Inclusive
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CASE NO. 1:14-cv-01099-DAD-JLT
JOINT STIPULATION TO CONTINUE
THE MANDATORY SETTLEMENT
CONFERENCE PENDING
RESOLUTION OF DEFENDANTS’
MOTION FOR SUMMARY
JUDGMENT; [PROPOSED ORDER]
(Doc. 49)
Defendants.
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COME NOW, Plaintiff, KEANU ETHAN CAMPOS, by and through his Guardian
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ad Litem, Deniz Gonzalez and Defendants, COUNTY OF KERN, DEPUTY JASON
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AYALA an DEPUTY JOSHUA BATHE, who have met and conferred through their
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respective attorneys of record, and now make this joint stipulated request of the Court:
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REPRESENTATIONS AND JOINT STIPULATION AND REQUEST:
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1.
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The Mandatory Settlement Conference (“MSC”) in this matter is set before
Magistrate Judge, Jennifer L. Thurston, on May 2, 2016 at 1:30 p.m.;
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______________________________________________________________________
Joint Stipulation to Continue the MSC Date
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2.
Defendants have filed a motion for summary judgment (“MSJ”) as to all
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claims. The motion has been briefed and argued. The Court took the matter under
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submission on March 15, 2016, and thereafter requested supplemental briefing from
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the parties which was completed on March 31, 2016. There has been no ruling yet on
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the MSJ from the Court;
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3.
Plaintiff and Defendants have timely exchanged settlement demands and
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offers, but believe that a settlement conference, prior to the resolution of the issues
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raised in the MSJ, will not be productive and therefore, the case currently is not
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postured for meaningful negotiations or potential settlement;
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4.
Therefore, Plaintiff and Defendants mutually invoke the provision made in
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the Scheduling Order (Doc. No. 26, p. 6, Section X, fn. 3) and stipulate that the Court
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continue the MSC currently set for May 2, 2016 to May 23, 2016 at 1:30 p.m.
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Dated: April 25, 2016
THERESA A. GOLDNER, COUNTY COUNSEL
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By: /s/ Marshall S. Fontes
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Marshall S. Fontes, Deputy
Attorneys for Defendants, County of Kern,
Deputy Jason Ayala and Deputy Joshua
Bathe
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Dated: April 25, 2016
LAW OFFICES OF GARROTTO & GARROTTO
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By /s/ Greg Garrotto
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Greg Garrotto, Esq.
Attorneys for Plaintiff, Keanu Ethan Campos,
a minor, by and through his Guardian ad
Litem, Deniz Gonzalez
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______________________________________________________________________
Joint Stipulation to Continue the MSC Date
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[PROPOSED] ORDER
For GOOD CAUSE shown, and based upon the mutual Stipulation of all parties
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to this action, the court hereby continues the MSC set for May 2, 2016 at 1:30 p.m. to
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May 17, 2016 at 1:30 p.m.
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IT IS SO ORDERED.
Dated:
April 25, 2016
/s/ Jennifer L. Thurston
UNITED STATES MAGISTRATE JUDGE
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______________________________________________________________________
Joint Stipulation to Continue the MSC Date
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