Zenaty Jr. v. Commissioner of Social Security

Filing 17

STIPULATION and ORDER for an Extension of Time of 14 Days for Defendant's Response to Plaintiff's Opening Brief, signed by Magistrate Judge Barbara A. McAuliffe on 9/17/2018. Pursuant to the parties' stipulation, and for cause shown, IT IS HEREBY ORDERED that Defendant shall have a second extension of time to October 2, 2018, in which to file a response to Plaintiff's opening brief. All other deadlines set forth in the Court's Scheduling Order shall be extended accordingly. No further extensions of time shall be granted in the absence of a demonstrated showing of good cause. (Valdez, E)

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1 2 3 4 5 6 7 8 MCGREGOR W. SCOTT United States Attorney DEBORAH LEE STACHEL Regional Chief Counsel, Region IX Social Security Administration CAROLYN B. CHEN, CSBN 256628 Special Assistant United States Attorney 160 Spear Street, Suite 800 San Francisco, California 94105 Telephone: (415) 977-8956 Facsimile: (415) 744-0134 E-Mail: Carolyn.Chen@ssa.gov Attorneys for Defendant 9 UNITED STATES DISTRICT COURT 10 EASTERN DISTRICT OF CALIFORNIA 11 FRESNO DIVISION 12 13 14 15 16 17 ROBERT ZENATY, Plaintiff, vs. NANCY A. BERRYHILL, Acting Commissioner of Social Security, Defendant. 18 ) ) ) ) ) ) ) ) ) ) ) ) Case No.: 1:17-cv-01362-BAM STIPULATION AND ORDER FOR AN EXTENSION OF TIME OF 14 DAYS FOR DEFENDANT’S RESPONSE TO PLAINTIFF’S OPENING BRIEF 19 20 IT IS HEREBY STIPULATED, by and between the parties, through their respective 21 counsel of record, that Defendant shall have an extension of time of 14 additional days to 22 respond to Plaintiff’s opening brief. The current due date is September 18, 2018. The new due 23 date will be October 2, 2018. 24 This is Defendant’s second request for an extension of time in this case. There is good 25 cause for this request. Since the granting of Defendant’s first request for an extension of time, 26 Defendant’s counsel has been diligently addressing her full workload of district court cases, 27 including other cases previously extended. In addition, new matters that were not previously 28 1 1 anticipated, had arisen and have created some crowding of the briefing schedule around the due 2 date of this case. 3 Thus, Defendant is respectfully requesting additional time up to and including October 2, 4 2018, to fully review the record and research the issues presented by Plaintiff’s opening brief in 5 this case. This request is made in good faith with no intention to unduly delay the proceedings. 6 7 8 Respectfully submitted, Date: September 14, 2018 9 10 s/ Shanny J. Lee by C.Chen* (As authorized by email on 9/14/2018) SHANNY J. LEE Attorneys for Plaintiff 11 12 13 LAW OFFICES OF HARRY J. BINDER AND CHARLES E. BINDER, P.C. Date: September 14, 2018 14 MCGREGOR W. SCOTT United States Attorney By s/ Carolyn B. Chen CAROLYN B. CHEN Special Assistant U. S. Attorney 15 16 17 Attorneys for Defendant 18 ORDER 19 20 Pursuant to the parties’ stipulation, and for cause shown, IT IS HEREBY ORDERED that 21 Defendant shall have a second extension of time to October 2, 2018, in which to file a response 22 to Plaintiff’s opening brief. All other deadlines set forth in the Court’s Scheduling Order shall be 23 extended accordingly. No further extensions of time shall be granted in the absence of a 24 demonstrated showing of good cause. IT IS SO ORDERED. 25 26 Dated: /s/ Barbara September 17, 2018 A. McAuliffe _ UNITED STATES MAGISTRATE JUDGE 27 28 2

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