DeFilippo v. County of Stanislaus et al

Filing 51

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 7/15/2020 EXTENDING the deadline to 8/17/2020 for Defendants City of Modesto and Jon Evers to file their responsive pleading to the first amended complaint. (Kastilahn, A)

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1 Jose M. Sanchez (SBN: 238467) jsanchez@meyersnave.com 2 CITY OF MODESTO 1010 10th Street, Suite 6300 3 P.O. Box 642 4 Modesto, CA 95353 Telephone: (209) 577-5284 5 Facsimile: (209) 544-8260 6 Deborah J. Fox (SBN: 110929) dfox@meyersnave.com 7 David Mehretu (SBN: 269398) dmehretu@meyersnave.com 8 Robert G. Davis (SBN: 304758) rdavis@meyersnave.com 9 MEYERS, NAVE, RIBACK, SILVER & WILSON 555 12th Street, Suite 1500 10 Oakland, California 94607 Telephone: (510) 808-2000 11 Facsimile: (510) 444-1108 12 Attorneys for Defendants CITY OF MODESTO and JON EVERS 13 UNITED STATES DISTRICT COURT 14 EASTERN DISTRICT OF CALIFORNIA, FRESNO DIVISION 15 16 GEORGIA DEFILIPPO AND CHRISTINA 17 DEFILIPPO, Plaintiffs, 18 19 v. 20 COUNTY OF STANISLAUS, CITY OF MODESTO, CITY OF TURLOCK, CITY 21 OF CERES, BIRGIT FLADAGER, MARLISSA FERREIRA, KIRK BUNCH, 22 STEVE JACOBSON, DALE LINGERFELT, FROILAN MARISCAL, LLOYD 23 MACKINNON, JON EVERS, DEREK PERRY, CORY BROWN, GREG JONES, 24 TIMOTHY REDD, KENNETH BARRINGER, FRANK NAVARRO, and 25 DOES 1-10, inclusive, 26 27 28 Defendants. Case No. 1:18-cv-00496-TLN-BAM STIPULATION TO EXTEND DATE FOR DEFENDANTS CITY OF MODESTO AND JON EVERS TO FILE RESPONSIVE PLEADING; ORDER Trial Date: None Set 1 2 STIPULATION Georgia DeFilippo, Christina DeFilippo, Jon Evers, and the City of Modesto (the 3 “Parties”), by and through their counsel, hereby stipulate and agree as follows: 4 The City of Modesto and Jon Evers (“Modesto Defendants”) have informed Plaintiffs’ 5 counsel that the Modesto Defendants are retaining new counsel imminently and the Parties have 6 agreed to extend the deadline for the Modesto Defendants to file a responsive pleading by one 7 month to August 17, 2020 in order to give new counsel for the Modesto Defendants an 8 opportunity to file a responsive pleading. 9 IT IS HEREBY STIPULATED and agreed by and among the Parties hereto, through their 10 undersigned attorneys of record, as follows: 11 1. The Parties agree to the extend the date for Defendants City of Modesto and Jon Evers 12 to file their responsive pleading to Plaintiffs Georgia DeFilippo and Christina DeFilippo’s First 13 Amended Complaint to August 17, 2020. 14 IT IS SO STIPULATED. 15 16 DATED: July 15, 2020 Respectfully submitted, 17 GWILLIAM, IVARY, CHIOSSO, CAVALLI & BREWER 18 19 By: 20 21 22 23 DATED: July 15, 2020 /s/ Jayme L. Walker JAYME L. WALKER Attorneys for Plaintiffs GEORGIA DEFILIPPO and CHRISTINA DEFILIPPO MEYERS, NAVE, RIBACK, SILVER & WILSON 24 25 26 27 By: /s/ Rober G. Davis ROBERT G. DAVIS Attorneys for Defendants CITY OF MODESTO and JON EVERS 28 Case No. 1:18-cv-00496-TLN-BAM STIPULATION TO EXTEND DATE FOR DEFENDANTS CITY OF MODESTO AND JON EVERS TO FILE RESPONSIVE PLEADING; ORDER 1 2 ORDER 1. The deadline for Defendants City of Modesto and Jon Evers to file their responsive 3 pleading to Plaintiffs Georgia DeFilippo and Christina DeFilippo’s First Amended Complaint is 4 August 17, 2020. 5 IT IS SO ORDERED. 6 7 DATED: July 15, 2020 8 Troy L. Nunley United States District Judge 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Case No. 1:18-cv-00496-TLN-BAM STIPULATION TO EXTEND DATE FOR DEFENDANTS CITY OF MODESTO AND JON EVERS TO FILE RESPONSIVE PLEADING; ORDER

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