Markham v. Tehachapi Unified School District et al

Filing 61

STIPULATION and ORDER TO CONTINUE TRIAL signed by Chief Judge Lawrence J. O'Neill on January 25, 2018. Court Trial currently set for 4/24/2018 has been CONTINUED to 11/27/2018 at 08:30 AM in Courtroom 4 (LJO) before Chief Judge Lawrence J. O'Neill. (Munoz, I)

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1 Law Office of Andréa Marcus 2 3 4 5 6 A Professional Corporation Andréa Marcus (SBN 188098) 133 East De La Guerra St., #143 Santa Barbara, CA 93101 Telephone: (888) 215-9021 Fax: (888) 215-9021 andreamarcus@gmail.com Attorney for Plaintiff K. Markham 7 Arnold Anchordoquy, Esq. Clifford & Brown 9 A430 Truxtun Avenue, Suite 900 Bakersfield, CA 93301 10 Telephone: (661) 322-6023 x105 11 Facsimile: (661) 322 3508 Email: aanchordoquy@clifford-brownlaw.com 8 12 13 Attorney for Defendants Tehachapi Unified School District and Kathleen Siciliani & 14 Heather Richter 15 Schools Legal Service 16 17 18 19 20 21 22 Darren Bogié (SBN 183773) Lead Counsel to be Served Kyle W. Holmes (SBN 288300) Counsel to be Noticed 1300 17th Street, Seventh Floor (93301) P.O. Box 2445 Bakersfield, CA 93303 Telephone: (661) 636-4830 Email: sls@kern.org Attorney for Defendant, Tehachapi Unified School District 23 /// 24 /// 25 /// 26 27 28 STIPULATION TO CONTINUE SETTLEMENT CONFERENCE 1 UNITED STATES DISTRICT COURT 2 EASTERN DISTRICT OF CALIFORNIA, FRESNO DIVISION 3 4 K.M. (a minor, by and through her parent 5 and guardian ad litem, BRENDA MARKHAM) 6 Plaintiffs, 7 Case No.: 1:15-CV-01835-LJO-JLT STIPULATION TO CONTINUE TRIAL v. 8 9 TEHACHAPI DISTRICT, UNIFIED SCHOOL AND KATHLEEN 10 SICILIANI Defendants. 11 12 13 IT IS HEREBY STIPULATED, by and between the parties, through their 14 respective counsel, Defendant TEHACHAPI UNIFIED SCHOOL DISTRICT and 15 KATHLEEN SICILIANI (“Defendants”) and Plaintiff, K.M. (A minor, by and through 16 her parent and Guardian ad Litem, BRENDA MARKHAM) (“Plaintiff”), as follows: 17 1. In light of the pending appeal of the Plaintiff’s IDEA claims in the 9 th 18 Circuit Court of Appeals, the parties hereby stipulate to continuing trial currently set for 19 April 24, 2018 at 8:30 AM to November 27, 2018, the time of day to be determined by 20 the Court. 21 22 Respectfully submitted, 23 Law Office of Andréa Marcus 24 25 26 27 _________/S/_______________________ By: Andréa Marcus, Attorney for Plaintiff Schools Legal Service 28 2 STIPULATION TO CONTINUE TRIAL 1 2 _________/S/________________________ By: Darren Bogié Attorney for Defendant Tehachapi Unified School District 3 4 5 Clifford & Brown 6 7 8 9 ________/S/________________________ By: Arnold Anchordoquy. Attorney for Defendant Kathleen Siciliani 10 11 12 13 14 IT IS SO ORDERED. 15 16 Dated: /s/ Lawrence J. O’Neill _____ January 25, 2018 UNITED STATES CHIEF DISTRICT JUDGE 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION TO CONTINUE TRIAL

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