North Coast Rivers Alliance, et al. v. United States Department of the Interior, et al.
Filing
89
STIPULATION and ORDER signed by Chief Judge Lawrence J. O'Neill on July 26, 2018. (Munoz, I)
1 STEPHAN C. VOLKER (CBN 63093)
ALEXIS E. KRIEG (CBN 254548)
2 STEPHANIE L. CLARKE (CBN 257961)
LAW OFFICES OF STEPHAN C. VOLKER
3 1633 University Avenue
Berkeley, California 94703
4 Tel:
510/496-0600
Fax:
510/845-1255
5 Email: svolker@volkerlaw.com
6 Attorneys for Plaintiffs NORTH COAST RIVERS ALLIANCE, CALIFORNIA
SPORTFISHING PROTECTION ALLIANCE, PACIFIC COAST FEDERATION OF
7 FISHERMEN’S ASSOCIATIONS, SAN FRANCISCO CRAB BOAT OWNERS
ASSOCIATION, INC., and INSTITUTE FOR FISHERIES RESOURCES
8
9
10
IN THE UNITED STATES DISTRICT COURT
11
FOR THE EASTERN DISTRICT OF CALIFORNIA
12
FRESNO DIVISION
13 NORTH COAST RIVERS ALLIANCE, CALIFORNIA Civ. No. 16-cv-307-LJO-SKO
SPORTFISHING PROTECTION ALLIANCE, PACIFIC
14 COAST FEDERATION OF FISHERMEN’S
ASSOCIATIONS, SAN FRANCISCO CRAB BOAT
STIPULATION AND
15 OWNERS ASSOCIATION, INC., and INSTITUTE FOR ORDER
FISHERIES RESOURCES,
16
Plaintiffs,
17
v.
Chief Judge Lawrence J. O’Neill
18 UNITED STATES DEPARTMENT OF THE
INTERIOR, and UNITED STATES BUREAU OF
Magistrate Judge Sheila K. Oberto
19 RECLAMATION,
20
Defendants,
21 WESTLANDS WATER DISTRICT, SAN LUIS
WATER DISTRICT, and PANOCHE WATER
22 DISTRICT,
23
Intervenor-Defendants.
24
25
COME NOW, North Coast Rivers Alliance, California Sportfishing Protection Alliance,
26 Pacific Coast Federation of Fishermen’s Associations, San Francisco Crab Boat Owners
27 Association, Inc., and Institute for Fisheries Resources (“Plaintiffs”); United States Department
28 of the Interior and the United States Bureau of Reclamation (“Defendants”); and intervenors
STIPULATION AND ORDER
-1-
CASE NO. 16-CV-307-LJO-SKO
1 Westlands Water District, San Luis Water District, and Panoche Water District (“Defendant2 Intervenors”), through undersigned counsel, and hereby jointly stipulate and request, as
3 previously requested in the Parties’ Joint Scheduling Conference Report filed August 17, 2017
4 at 6:6-8, and based on the parties’ agreement, that this Court’s review will be limited to the
5 administrative record, and that the Court order that the “Statements of Undisputed Facts”
6 otherwise required by L.R. 260(a), (b) not be required.
7 Dated: July 24, 2018
Respectfully submitted,
8
LAW OFFICES OF STEPHAN C. VOLKER
9
/s/ Stephan C. Volker
STEPHAN C. VOLKER
Attorney for Plaintiffs
NORTH COAST RIVERS ALLIANCE, et al.
10
11
12 Dated: July 24, 2018
UNITED STATES DEPARTMENT OF JUSTICE
13
/s/ Judith E. Coleman
JUDITH E. COLEMAN
Attorneys for Federal Defendants
14
15
16 Dated: July 24, 2018
ORRICK, HERRINGTON & SUTCLIFFE LLP
17
/s/ Cynthia J. Larsen
CYNTHIA J. LARSEN
Attorneys for Defendant-Intervenors
WESTLANDS WATER DISTRICT, SAN LUIS
WATER DISTRICT, and PANOCHE WATER
DISTRICT
18
19
20
21
ORDER
22
Good cause appearing, the foregoing stipulation is approved.
23 IT IS SO ORDERED.
24
Dated:
July 26, 2018
25
/s/ Lawrence J. O’Neill _____
UNITED STATES CHIEF DISTRICT JUDGE
26
27
28
STIPULATION AND ORDER
-2-
CASE NO. 16-CV-307-LJO-SKO
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