California Sportfishing Protection Alliance et al v. United States Bureau of Reclamation et al
Filing
59
STIPULATION to Continue the Rule 16 Scheduling Conference; ORDER - hereby continues the October 6, 2015 Scheduling Conference to December 9, 2015 at 8:30am in Courtroom 8 (BAM) before Judge McAuliffe. Parties shall file their Joint Statement 7 days prior to the date of the Scheduling Conference. signed by Magistrate Judge Barbara A. McAuliffe on 9/30/2015. (Herman, H)
1
2
3
4
Michael R. Lozeau (State Bar No. 142893)
Rebecca L. Davis (State Bar No. 271662)
Lozeau Drury LLP
410 12th Street, Suite 250
Oakland, CA 94607
Tel: (510) 836-4200
Fax: (510) 836-4205 (fax)
E-mail: Michael@lozeaudrury.com
5
6
7
8
9
10
Andrew L. Packard (State Bar No. 168690)
Megan E. Truxillo (State Bar No. 275746)
Law Offices of Andrew L. Packard
100 Petaluma Blvd. N., Suite 301
Petaluma, CA 94952
Tel: (707) 763-7227
Fax: (707) 763-9227
E-mail: Andrew@packardlawoffices.com
Attorneys for Plaintiffs
11
UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA
12
13
14
CALIFORNIA SPORTFISHING
PROTECTION ALLIANCE, CALIFORNIA
WATER IMPACT NETWORK,
AQUALLIANCE, RESTORE THE DELTA,
15
16
17
18
19
20
21
22
23
24
25
Plaintiffs,
vs.
UNITED STATES BUREAU OF
RECLAMATION; SALLY JEWELL, in her
capacity as the SECRETARY OF THE
UNITED STATES DEPARTMENT OF
THE INTERIOR,
Case No. 1:15-CV-0912-LJO-BAM
STIPULATION TO CONTINUE THE
RULE 16 SCHEDULING CONFERENCE;
ORDER
DATE: October 6, 2015
TIME: 8:30 a.m.
Courtroom: #8 (6th Floor)
Judge: Barbara A. McAuliffe
Defendants.
OAKDALE IRRIGATION DISTRICT;
SOUTH SAN JOAQUIN IRRIGATION
DISTRICT; SAN LUIS & DELTAMENDOTA WATER AUTHORITY;
WESTLANDS WATER DISTRICT,
Intervenors/Defendants.
26
27
28
Plaintiffs CALIFORNIA SPORTFISHING PROTECTION ALLIANCE, CALIFORNIA
WATER IMPACT NETWORK, AQUALLIANCE, and RESTORE THE DELTA; Defendants
1
_________________________________________________________________________________________________
PARTIES’ STIPULATION TO CONTINUE THE RULE 16 SCHEDULING CONFERENCE
Case No. 1:15-CV-0912-LJO-BAM
1
UNITED STATES BUREAU OF RECLAMATION and SALLY JEWELL, in her capacity as the
2
SECRETARY OF THE UNITED STATES DEPARTMENT OF THE INTERIOR; and
3
Intervenors/Defendants OAKDALE IRRIGATION DISTRICT, SOUTH SAN JOAQUIN
4
IRRIGATION DISTRICT, SAN LUIS & DELTA-MENDOTA WATER AUTHORITY, and
5
WESTLANDS WATER DISTRICT stipulate as follows:
WHEREAS the Rule 16 Scheduling Conference is currently scheduled for October 6, 2015,
6
7
at 8:30 a.m.;
WHEREAS the Joint Scheduling Report is currently due Tuesday, September 28, 2015, one
8
9
week prior to the Scheduling Conference;
WHEREAS the motion to dismiss filed by U.S. Bureau of Reclamation and Sally Jewell in
10
11
her capacity as the Secretary of the U.S. Department of the Interior was taken under submission
12
without hearing on September 14, 2015 and is currently pending;
WHEREAS the parties believe it would be more efficient, potentially conserve resources,
13
14
and improve productivity of discussions regarding the topics in Rule 16 and Local Rule 240 after the
15
pending motion to dismiss was decided;
NOW, THEREFORE, the parties jointly and respectfully request that the Court issue an
16
17
order continue the Joint Status Conference until 30 days after the Court issues its order on the
18
pending motion to dismiss. The Parties further stipulate to file a Joint Status Report 7 days prior to
19
the status conference.
20
IT IS SO STIPULATED.
21
DATED: September 29, 2015
22
By:
/s/ Andrew L. Packard________________
ANDREW L. PACKARD
Attorneys for Plaintiffs
CALIFORNIA SPORTFISHING PROTECTION ALLIANCE,
CALIFORNIA WATER IMPACT NETWORK,
AQUALLIANCE and RESTORE THE DELTA
23
24
25
26
27
28
LAW OFFICES OF ANDREW L. PACKARD
///
///
O’LAUGHLIN & PARIS LLP
1
2
DATED: September 29, 2015
By: Valerie C. Kincaid
(as authorized on 9/29/2015)
VALERIE C. KINCAID*
Attorneys for Intervenor/Defendant
OAKDALE IRRIGATION DISTRICT,
a public agency;
3
4
5
6
MASON, ROBBINS, BROWNING & GODWIN LLP
DATED: September 29, 2015
By: Steve Emrick
(as authorized on 9/29/2015)
STEVE EMRICK*
Attorneys for Intervenor/Defendant
SOUTH SAN JOAQUIN IRRIGATION
DISTRICT, a public agency.
7
8
9
10
11
KRONICK, MOSKOVITZ, TIEDEMANN & GIRARD
Dated: September 29, 2015
By: Daniel J. O’Hanlon
(as authorized on 9/28/2015)
DANIEL J. O’HANLON*
Attorneys for Defendant-Intervenors, San Luis & DeltaMendota Water Authority and Westlands Water District
12
13
14
ORDER
15
In light of the Parties’ stipulation, the Court hereby continues the October 6, 2015 Scheduling
16
17
Conference to December 9, 2015 at 8:30am in Courtroom 8 (BAM) before Judge McAuliffe.
18
Parties shall file their Joint Statement 7 days prior to the date of the Scheduling Conference.
19
IT IS SO ORDERED.
20
21
22
23
24
25
26
27
28
Dated:
September 30, 2015
/s/ Barbara
A. McAuliffe
UNITED STATES MAGISTRATE JUDGE
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?