Taylor et al v. County of Calaveras, et al

Filing 35

STIPULATION and ORDER signed by Magistrate Judge Barbara A. McAuliffe on 04/19/2018. IT IS HEREBY ORDERED as follows: All claims against Defendants Brian David Lopez and Rhonda Lee Lopez have been withdrawn, except the claims set forth in the claim /cause of action for 42 USC section 1983 Civil Rights Violations and related claims for relief; and within seven (7) days of the date of this order, Defendants Brian David Lopez and Rhonda Lee Lopez may file and serve a Second Amended Answer to Plaintiffs Complaint, withdrawing without prejudice certain affirmative defenses. (Apodaca, P)

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1 2 3 4 JAMES R. DONAHUE, SBN 105106 MICHAEL E. MYERS, SBN 99451 STEPHEN J. MACKEY, SBN 131203 DONAHUE ∙ DAVIES LLP Post Office Box 277010 Sacramento, CA 95827-7010 Telephone: (916) 817-2900 Facsimile: (916) 817-2644 5 6 Attorneys for Defendants BRIAN DAVID LOPEZ and RHONDA LEE LOPEZ 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 MICHAEL SCOTT TAYLOR, LORI MELVILLE, 12 Case No. 1:18-CV-00760-BAM Plaintiffs, STIPULATION AND ORDER 13 vs. 14 COUNTY OF CALAVERAS, a municipal corporation; Calaveras County Sheriff RICK DIBASILIO, individually and in his official capacity; Calaveras County Sheriff’s Department deputies GEOFFREY RAMOS (Badge #0368), TALYAANN MATTOS (Badge #0370), KEVIN STEVENS (Badge #0242), , individually and in their official capacities; BRIAN DAVID LOPEZ, RHONDA LEE LOPEZ, and DOES 1 through 50, jointly and severally, Complaint Filed: June 4, 2018 15 16 17 18 19 20 Defendants. 21 22 Plaintiffs Michael Scott Taylor and Lori Melville, and Defendants, Brian David Lopez and 23 Rhonda Lee Lopez, by and through their respective undersigned counsel, hereby stipulate as follows: 24 1. Plaintiffs Michael Scott Taylor and Lori Melville agree to withdraw all claims against 25 Defendants Brian David Lopez and Rhonda Lee Lopez, only, except the claims set forth in the 26 claim/cause of action for “42 USC section 1983 “Civil Rights Violations” and related claims for relief; 27 and 28 1 Stipulation and Order 1 2. Defendants Brian David Lopez and Rhonda Lee Lopez may file and serve a Second 2 Amended Answer to Plaintiffs’ Complaint, withdrawing without prejudice certain affirmative 3 defenses. 4 Respectfully submitted, 5 Dated: _______, 2019 LAW OFFICES OF PANOS LAGOS 6 /s/Panos Lagos Panos Lagos, Esq. Attorneys for Plaintiffs, MICHAEL SCOTT TAYLOR, LORI MELVILLE 7 8 9 10 11 Dated: _____ , 2019 DONAHUE DAVIES LP 12 /s/Stephen J. Mackey_________________________ 13 JAMES R. DONAHUE MICHAEL E. MYERS STEPHEN J. MACKEY Attorneys for Defendants Brian David Lopez and Rhonda Lee Lopez 14 15 16 17 ORDER Pursuant to the parties’ stipulation filed on April 7, 2019, IT IS HEREBY ORDERED as 18 follows: 19 1. 20 21 All claims against Defendants Brian David Lopez and Rhonda Lee Lopez have been withdrawn, except the claims set forth in the claim/cause of action for “42 USC section 1983 “Civil Rights Violations” and related claims for relief; and 22 2. 23 Within seven (7) days of the date of this order, Defendants Brian David Lopez and Rhonda Lee Lopez may file and serve a Second Amended Answer to Plaintiffs’ Complaint, 24 25 withdrawing without prejudice certain affirmative defenses. IT IS SO ORDERED. 26 Dated: 27 April 19, 2019 /s/ Barbara A. McAuliffe _ UNITED STATES MAGISTRATE JUDGE 28 2 Stipulation and Order 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 Stipulation and Order

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