Rocca v. B S V, Inc. dba Applegate Chevron #90715
Filing
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STIPULATION and ORDER TO CONTINUEDISMISSAL DATE to July 28, 2017, signed by Magistrate Judge Michael J. Seng on 6/26/2017. (Lafata, M)
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Scottlynn J Hubbard, SBN 212970
Khushpreet R. Mehton, SBN 276827
DISABLED ADVOCACY GROUP, APLC
12 Williamsburg Lane
Chico, CA 95926
Telephone: (530) 895-3252
Facsimile: (530) 894-8244
Email: usdceast@hubslaw.com
Attorneys for Plaintiff Michael Rocca
Bruce A. Neilson, SBN 96952
Bruce A. Neilson, Attorney
7108 N. Fresno St. #410
Fresno, CA 93720
Telephone: (559) 432-9831
Facsimile: (559) 432-1837
Email: bneilsonlaw@gmail.com
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Attorneys for Defendant BSV, Inc. dba Applegate Chevron #90715
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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Michael Rocca,
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Plaintiff,
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v.
B S V Inc., dba Applegate Chevron
#90715,
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Defendant.
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Case No. 1:16-cv-00686-DAD-SKO
JOINT REQUEST, STIPULATION,
AND ORDER TO CONTINUE
DISMISSAL DATE
Honorable Judge Michael J. Seng
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Rocca v. B S V, Inc.
Case No. 1:16-cv-00686-DAD-SKO
Joint Request, Stipulation, and Order to Continue Dismissal Date
Page 1 of 4
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Pursuant to the Court’s Minute Order dated June 20, 2017 (see Docket
No. 26), the following Request and Stipulation is entered into by plaintiff
Michael Rocca (“Rocca”) and defendant B S V, Inc. dba Applegate Chevron
#90715 (“Chevron”) (collectively hereafter “the Parties”):
WHEREAS, Rocca filed his complaint against Chevron on or about May
13, 2016 (see Docket No. 1).
WHEREAS, the Parties have resolved all outstanding claims and fully
executed a final agreement on June 20, 2017 (see Docket No. 25).
WHEREAS, the terms of the settlement agreement provide that the full
settlement payment shall be tendered on or before July 21, 2017.
WHEREAS, the terms of the settlement agreement require receipt of full
settlement payment prior to circulation of a Joint Motion for Dismissal.
WHEREAS, the Court has ordered that the Parties file either (1) a
stipulation for dismissal or (2) request for extension no later than June 30, 2017
(see Docket No. 26).
WHEREAS, the Parties have not previously requested any other
extensions of time.
WHEREAS, the Parties believe that continuing the final date for
dismissal would allow the Parties to Jointly Dismiss the matter with prejudice
no later than May 19, 2017.
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Rocca v. B S V, Inc.
Case No. 1:16-cv-00686-DAD-SKO
Joint Request, Stipulation, and Order to Continue Dismissal Date
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THEREFORE, IT IS HEREBY REQUESTED, STIPULATED AND
AGREED by and among the Parties that the Dismissal Date be continued from
June 30, 2017 to July 28, 2017.
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Dated: June 22, 2017
DISABLED ADVOCACY GROUP, APLC
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/s/ Khushpreet R. Mehton
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Khushpreet R. Mehton
Attorneys for Plaintiff Martin Rocca
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Dated: June 22, 2017
Bruce A. Neilson, Esq.
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/s/ Bruce A. Neilson
Bruce A. Neilson
Attorney for Defendant B S V, Inc. dba
Applegate Chevron #90715
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Rocca v. B S V, Inc.
Case No. 1:16-cv-00686-DAD-SKO
Joint Request, Stipulation, and Order to Continue Dismissal Date
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ORDER
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For good cause shown, IT IS HEREBY ORDERED that the last day
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for the parties to file a joint dismissal with prejudice in Case No. 1:16-cv00686-DAD-SKO is hereby extended to July 28, 2017.
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IT IS SO ORDERED.
Dated:
June 26, 2017
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/s/
Michael J. Seng
UNITED STATES MAGISTRATE JUDGE
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Rocca v. B S V, Inc.
Case No. 1:16-cv-00686-DAD-SKO
Joint Request, Stipulation, and Order to Continue Dismissal Date
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