Estate of Christopher McDaniel, et al. v. County of Kern, et al.
Filing
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STIPULATION and ORDER signed by District Judge John A. Mendez on 6/13/20107 ORDERING: the parties joint pretrial statement shall be filed on or before 7/7/2017; the Pretrial Conference CONTINUED to 7/14/2017 at 10:00 AM in Courtroom 6 (JAM) before District Judge John A. Mendez; and the Jury Trial CONTINUED to 8/14/2017 at 09:00 AM in Courtroom 6 (JAM) before District Judge John A. Mendez. (Washington, S)
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MICHAEL J. CURLS (SBN 159651)
NICHELLE D. JONES (SBN 186308)
LAW OFFICE OF MICHAEL J. CURLS
4340 Leimert Blvd., Suite 200
Los Angeles, CA 90008
Telephone: (323) 293-2314
Facsimile: (323) 293-2350
Attorneys for Plaintiffs CAMERON MCDANIEL, DAMON MCDANIEL and THE
ESTATE OF CHRISTOPHER MCDANIEL
THERESA A. GOLDNER, COUNTY COUNSEL
STATE OF CALIFORNIA
By: Marshall S. Fontes, Deputy (SBN 139567)
Kathleen S. Rivera, Deputy (SBN 211606)
Kern County Administrative Center
1115 Truxton Ave., Fourth Floor
Bakersfield, CA 93301
Telephone: (661) 868-3800|
Facsimile: (661) 868-3805
Attorneys for Defendants, County of Kern, Kern County Sheriff’s Department,
Aaron Warmerdam and Jeffrey Kelly
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UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA
) Case No.: 1:15-CV-01320-JAM-JLT
THE ESTATE OF CHRISTOPHER
MCDANIEL, CAMERON MCDANIEL, )
)
individually and as Successor in
)
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Interest to CHRISTOPHER
) STIPULATION TO CONTINUE
MCDANIEL, DAMON MCDANIEL
) PRETRIAL STATUS CONFERENCE
individually, and GUNNER MCDANIEL,)
individually, by and through his
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Guardian Ad Litem CATHY LOWELL )
)
)
Plaintiff,
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)
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vs.
)
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COUNTY OF KERN, KERN COUNTY )
SHERIFF’S DEPARTMENT, AARON )
)
WARMERDAM, JEFFREY KELLEY, )
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and DOES 1 THROUGH 25,
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INCLUSIVE,
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Defendants
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STIPULATION TO CONTINUE PRETRIAL STATUS CONFERENCE (1:15-CV-01320-JAM-JLT)
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TO THE HONORABLE COURT:
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This stipulation is entered into by and between the plaintiffs and the
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defendants, by and through their respective counsel.
1.
On or about May 22, 2017, the Court unilaterally continued the Pre-
Trial Conference in this matter from June 23, 2017 to June 30, 2017.
2.
Both Michael J. Curls and Nichelle D. Jones have pre-planned
vacations from June 30, 2017 to July 10, 2017 respectively.
3.
Plaintiff’s counsel has met and conferred with Defense counsel for a
mutually agreeable date for the Pretrial Conference.
4.
Based on the forgoing, the parties seek leave to continue the Pretrial
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conference from June 30, 2017 to July 14, 2017 and the trial from August 7, 2017
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to August 14, 2017.
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NOW THEREFORE, IT IS HEREBY STIPULATED by the Parties, subject
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to approval by this Court that the Scheduling Order be amended as set forth
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above.
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DATED: June 13, 2017
LAW OFFICE OF MICHAEL J. CURLS
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By:
/s/
Nichelle D. Jones, Attorneys for
Plaintiffs THE ESTATE OF
CHRISTOPHER MCDANIEL, et al.
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DATED: June 13, 2017
THERESA A. GOLDNER, COUNTY COUNSEL
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By:
/s/
Marshall S. Fontes, Deputy
Kathleen S. Rivera, Deputy
Attorneys for Respondents
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STIPULATION TO CONTINUE PRETRIAL STATUS CONFERENCE (1:15-CV-01320-JAM-JLT)
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ORDER
PER STIPULATION OF COUNSEL, IT IS HEREBY ORDERED that the
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Pre-Trial Conference be continued from June 30, 2017 to July 14, 2017 at 10:00
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a.m. The parties joint pretrial statement shall be filed on or before July 7, 2017.
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Jury trial is reset from August 7, 2017 to August 14, 2017 at 9:00 a.m.
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DATED: 6/13/2017
/s/ John A. Mendez____________
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United States District Court Judge
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STIPULATION TO CONTINUE PRETRIAL STATUS CONFERENCE (1:15-CV-01320-JAM-JLT)
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