Mock v. California Department of Corrections and Rehabilitation, et al.
Filing
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Stipulation Re: Defendants' Enlargement of Time To File An Answer, signed by Magistrate Judge Michael J. Seng on 02/19/2016. (Yu, L)
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KAMALA D. HARRIS, State Bar No. 146672
Attorney General of California
DAVID J. NEILL, State Bar No. 186997
Supervising Deputy Attorney General
MATTHEW T. BESMER, State Bar No. 269138
Deputy Attorney General
2550 Mariposa Mall, Room 5090
Fresno, CA 93721
Telephone: (559) 477-1680
Fax: (559) 445-5106
E-mail: Matthew.Besmer@doj.ca.gov
Attorneys for Defendants
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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MAURICE C. MOCK,
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v.
1:15-cv-01104-MJS
Plaintiff, STIPULATION RE DEFENDANTS’
ENLARGEMENT OF TIME TO FILE AN
ANSWER
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CALIFORNIA DEPARTMENT OF
CORRECTIONS AND
REHABILITATION; PLEASANT
VALLEY STATE PRISON; JEFFREY A
BEARD, in official capacity; JOHN KEITH,
in his individual and official capacities; and
DOES 1 through 50, inclusive,
Action Filed: June 15, 2015
Defendants.
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On February 12, 2016, the Court issued its order on Defendants’ Motion to Dismiss and
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ordered Defendants to file their answer within 21 days. Doc. 30. The answer is due on or before
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March 4, 2016. Defendants’ counsel is out of the office on military leave from February 21,
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2016, through March 5, 2016. Defendants’ counsel is presently consumed with preparing reply
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documents in the matter of Arcure, et al. v. Meeker, et al. Case 1:13-cv-00541-MJS, along with
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other matters before beginning military duty.
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Stipulation Re Defendants’ Enlargement of Time to File an Answer (1:15-cv-01104-MJS)
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Based on the foregoing, the parties stipulate as follows:
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Defendants shall have a one week enlargement of time and their answer shall be
due on or before March 11, 2016.
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SO STIPULATED.
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Dated: February 16, 2016
Respectfully submitted,
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Kamala D. Harris
Attorney General of California
David J. Neill
Supervising Deputy Attorney General
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Matthew T. Besmer
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Matthew T. Besmer
Deputy Attorney General
Attorneys for Defendants
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Dated: February 16, 2016
KAHN, SOARES & CONWAY, LLP
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/s/ Robert B. Zumwalt
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Richard C. Conway
Robert B. Zumwalt
Attorneys for Plaintiff
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Stipulation Re Defendants’ Enlargement of Time to File an Answer (1:15-cv-01104-MJS)
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ORDER
Good cause appearing on the parties’ Stipulation Re Defendants’ Enlargement of Time to
File an Answer, is hereby ORDERED that:
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Defendants shall have a one week enlargement of time and their answer shall be
due on or before March 11, 2016.
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IT IS SO ORDERED.
Dated:
February 19, 2016
/s/
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Michael J. Seng
UNITED STATES MAGISTRATE JUDGE
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Stipulation Re Defendants’ Enlargement of Time to File an Answer (1:15-cv-01104-MJS)
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