Hornsby II v. County of Tulare, California et al

Filing 47

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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1 2 3 4 5 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 6 11 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 12 Attorneys for Defendant County of Tulare 7 8 9 10 13 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA – FRESNO 14 15 TED HORNSBY II, 16 Case Number: 1:14-cv-01236-EPG Plaintiff, 17 18 vs. 19 COUNTY OF TULARE, CALIFORNIA, JOSEPH ENGLAND, BRADLEY MCLEAN, JOSEPH CAMPOS AND BILL WITTMAN IN HIS CAPACITY AS SHERIFF, COUNTY OF TULARE, CALIFORNIA Defendants. 20 21 22 PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND TIME FOR FILING OF THE JOINT PRE-TRIAL CONFERENCE STATEMENT Date: Time: Courtroom: 10 23 Erica P. Grosjean U.S. Magistrate Judge 24 25 26 JOINT STIPULATION 27 28 County Counsel Tulare County Visalia, California 1 PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND DEADLINE 1 Plaintiff, TED HORNSBY II by and through his attorneys of record and Defendants, 2 COUNTY OF TULARE, CALIFORNIA, JOSEPH ENGLAND, BRADLEY MCLEAN, 3 JOSEPH CAMPOS AND BILL WITTMAN IN HIS CAPACITY AS SHERIFF, COUNTY 4 OF TULARE, CALIFORNIA, by and through Tulare County Counsel, Deputy County 5 Counsel, Judith D. Chapman, stipulate as follows: 6 The parties had to each prepare a Confidential Settlement Statement which was due 7 Friday, June 17th pursuant to the Honorable Judge Sheila Oberto’s Settlement Conference 8 Order. Since these documents required a lot of information and were time consuming, it 9 hindered the parties from working on the Joint Pre-Trial Statement. 10 WHEREAS, the parties have met and conferred and are in agreement to extend the 11 deadline to file the Joint Pre-Trial Conference Statement until June 22, 2016 in order to give 12 the parties additional time to review and agree as to the final Statement to be filed in this 13 matter. 14 15 16 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 17 HEREIN. 18 Dated: 6-20-2016 LAW OFFICE OF HERMEZ MORENO, PC 19 _____/s/___________________ William A. Romaine, Attorney for Plaintiff 20 21 22 23 Dated: 6-20-2016 24 KATHLEEN BALES-LANGE County Counsel 25 _____/s/_____________________ Judith D. Chapman, Attorney for Defendant County of Tulare 26 27 28 County Counsel Tulare County Visalia, California 2 PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND DEADLINE 1 2 ORDER Based on the parties’ above Stipulation (ECF No. 46), and good cause appearing, IT 3 IS HEREBY ORDERED that the Parties’ JOINT PRE-TRIAL CONFERENCE 4 STATEMENT in this matter be filed no later than June 22, 2016. 5 6 7 8 IT IS SO ORDERED. Dated: June 21, 2016 /s/ UNITED STATES MAGISTRATE JUDGE 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 County Counsel Tulare County Visalia, California 3 PARTIES’ JOINT STIPULATION AND ORDER TO EXTEND DEADLINE

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