Torres v. La Favorita Broadcasting, Inc., et al.
Filing
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STIPULATION and ORDER Extending Defendants' Time to Respond to Complaint by Two (2) Weeks signed by Magistrate Judge Stanley A. Boone on 12/15/2017. Pursuant to the parties' stipulation, IT IS HEREBY ORDERED that Defendants' answer to the complaint is due on or before December 29, 2017. (Valdez, E)
1 Boris Treyzon, Esq. (SBN: 188893)
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David S. Bederman, Esq. (SBN: 285262)
ABIR COHEN TREYZON SALO, LLP
1901 Avenue of the Stars, Suite 935
Los Angeles, California 90067
Telephone: (424) 288-4367
Facsimile: (424) 288-4368
Attorneys for Plaintiff Ricardo Torres
7 McCormick, Barstow, Sheppard,
8 Wayte & Carruth LLP
Timothy J. Buchanan, #100409
9 7647 North Fresno Street
10 Fresno, California 93720
Telephone: (559) 433-1300
(559) 433-2300
12 Attorneys for Defendants, appearing specially
11 Facsimile:
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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17 RICARDO TORRES, individually and
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on behalf of LA FAVORITA
BROADCASTING, INC., a suspended
California corporation. LA FAVORITA
RADIO NETWORK, INC., a
suspended California corporation;
KAFY, INC., a suspended California
corporation; KBYN, INC., a suspended
California corporation; KCFA, INC., a
suspended California corporation;
KSKD, INC., a suspended California
corporation; and KNTO, INC., a
suspended California corporation,
Plaintiff,
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v.
26 LA FAVORITA BROADCASTING,
INC., a suspended California
27 corporation.;
LA FAVORITA RADIO NETWORK,
28 INC., a suspended California
corporation; KAFY, INC., a suspended
Case No. 17–cv-00888-LJO-SAB
STIPULATION AND ORDER
EXTENDING DEFENDANTS’
TIME TO RESPOND TO
COMPLAINT BY TWO (2) WEEKS
Judge: Hon. Stanley A. Boone
Courtroom:
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1 California corporation; KBYN, INC., a
suspended California corporation;
2 KCFA, INC., a suspended California
corporation; KSKD, INC., a suspended
3 California corporation;
and KNTO, INC., a suspended
4 California corporation; NELSON F.
GOMEZ, an individual; DEBBIE L.
5 GOMEZ, an individual; and DOES 1
through 10
6 inclusive,
Defendants.
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Plaintiff and Defendants, and each of them, appearing specially through
10 counsel (having not appeared yet in this action), stipulate as follows:
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1.
Defendants’ deadline to file a responsive pleading in this action
12 currently falls on December 15, 2017;
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2.
The parties are negotiating a stipulation that would stay litigation of
14 this action so that it may be submitted to binding Alternate Dispute Resolution
15 (“ADR”);
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3.
The parties require two (2) weeks of additional time to negotiate the
17 terms and procedures for ADR, and anticipate that they will reach agreement within
18 such two weeks;
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4.
Accordingly, Plaintiff agrees that Defendants shall have until
20 December 29, 2017 within which to respond to the complaint.
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5.
This stipulation and proposed order does not constitute a general
22 appearance in this action by any Defendant. The stipulation is entered into and
23 presented as a special appearance solely for purposes of the relief it seeks and for no
24 other purpose.
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1 Dated: December 15, 2017
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McCORMICK, BARSTOW, SHEPPARD,
WAYTE & CARRUTH LLP
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/s/ Timothy J. Buchanan
Timothy J. Buchanan
For Defendants, appearing specially solely
for purposes of this stipulation and
application
By:
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9 Dated: December 15, 2017
ABIR COHEN TREYZON SALO, LLP
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/s/ Boris Treyzon
Boris Treyzon
David S. Bederman
Attorneys for Plaintiff RICARDO TORRES
By:
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ORDER
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Pursuant to the parties’ stipulation, IT IS HEREBY ORDERED that
19 Defendants’ answer to the complaint is due on or before December 29, 2017.
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22 IT IS SO ORDERED.
23 Dated:
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December 15, 2017
UNITED STATES MAGISTRATE JUDGE
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