Hornsby II v. County of Tulare, California et al
Filing
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Parties' Joint STIPULATION and ORDER to Extend Time for Filing of the Joint Pre-Trial Conference Statement signed by Magistrate Judge Erica P. Grosjean on 6/21/2016. (Martinez, A)
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William A. Romaine, #126966
Law Offices of William A. Romaine
206 West Lacey Blvd. Suite 309
Hanford, CA 93230
Telephone: (559) 582-9360
Facsimile: (559) 582-0350
Attorneys for Plaintiff
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KATHLEEN BALES-LANGE, #094765
County Counsel for the County of Tulare
Judith D. Chapman, #169479
Deputy County Counsel
2900 West Burrel, County Civic Center
Visalia, California 93291
Telephone: (559) 733-6263
Facsimile: (559) 737-4319
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Attorneys for Defendant County of Tulare
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UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA – FRESNO
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TED HORNSBY II,
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Case Number: 1:14-cv-01236-EPG
Plaintiff,
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vs.
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COUNTY OF TULARE, CALIFORNIA,
JOSEPH ENGLAND, BRADLEY MCLEAN,
JOSEPH CAMPOS AND BILL WITTMAN
IN HIS CAPACITY AS SHERIFF, COUNTY
OF TULARE, CALIFORNIA
Defendants.
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PARTIES’ JOINT STIPULATION
AND ORDER TO EXTEND TIME
FOR FILING OF THE JOINT
PRE-TRIAL CONFERENCE
STATEMENT
Date:
Time:
Courtroom: 10
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Erica P. Grosjean
U.S. Magistrate Judge
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JOINT STIPULATION
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County Counsel
Tulare County
Visalia, California
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PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND DEADLINE
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Plaintiff, TED HORNSBY II by and through his attorneys of record and Defendants,
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COUNTY OF TULARE, CALIFORNIA, JOSEPH ENGLAND, BRADLEY MCLEAN,
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JOSEPH CAMPOS AND BILL WITTMAN IN HIS CAPACITY AS SHERIFF, COUNTY
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OF TULARE, CALIFORNIA, by and through Tulare County Counsel, Deputy County
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Counsel, Judith D. Chapman, stipulate as follows:
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The parties had to each prepare a Confidential Settlement Statement which was due
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Friday, June 17th pursuant to the Honorable Judge Sheila Oberto’s Settlement Conference
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Order. Since these documents required a lot of information and were time consuming, it
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hindered the parties from working on the Joint Pre-Trial Statement.
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WHEREAS, the parties have met and conferred and are in agreement to extend the
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deadline to file the Joint Pre-Trial Conference Statement until June 22, 2016 in order to give
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the parties additional time to review and agree as to the final Statement to be filed in this
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matter.
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THEREFORE, the parties respectfully request that the time to file Joint Pre-Trial
Conference Statement be extended for 2 days to June 22, 2016.
IT IS SO STIPULATED BY THE ATTORNEYS OF RECORD AND NAMED
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HEREIN.
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Dated: 6-20-2016
LAW OFFICE OF HERMEZ MORENO, PC
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_____/s/___________________
William A. Romaine, Attorney for
Plaintiff
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Dated: 6-20-2016
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KATHLEEN BALES-LANGE
County Counsel
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_____/s/_____________________
Judith D. Chapman, Attorney for
Defendant County of Tulare
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County Counsel
Tulare County
Visalia, California
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PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND DEADLINE
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ORDER
Based on the parties’ above Stipulation (ECF No. 46), and good cause appearing, IT
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IS HEREBY ORDERED that the Parties’ JOINT PRE-TRIAL CONFERENCE
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STATEMENT in this matter be filed no later than June 22, 2016.
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IT IS SO ORDERED.
Dated:
June 21, 2016
/s/
UNITED STATES MAGISTRATE JUDGE
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County Counsel
Tulare County
Visalia, California
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PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND DEADLINE
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