Mayen v. Cal Central Harvesting, Inc.

Filing 8

ORDER GRANTING 7 Stipulation to Reschedule Mandatory Scheduling Conference, signed by Magistrate Judge Jennifer L. Thurston on 4/26/2021. Scheduling Conference CONTINUED to 7/23/2021 at 08:30 AM in Bakersfield, 510 19th Street before Magistrate Judge Jennifer L. Thurston. (Hall, S)

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1 2 3 4 5 6 7 Thomas E. Campagne, #065375 Campagne & Campagne A Professional Corporation Airport Office Center 1685 North Helm Avenue Fresno, California 93727 Telephone: (559) 255-1637 Facsimile: (559) 252-9617 Email: tcampagne@campagnelaw.com Attorneys for Defendant Cal Central Harvesting, Inc. 10 Kevin A. Lipeles, #244275 Thomas H. Schelly, #217285 LIPELES LAW GROUP, APC 880 Apollo Street, Suite 336 El Segundo, CA 90245 Telephone: (310) 322-2211 Email: kevin@kallaw.com 11 Attorneys for Plaintiff Julio Mayen 8 9 12 UNITED STATES DISTRICT COURT 13 EASTERN DISTRICT OF CALIFORNIA 14 FRESNO DIVISION 15 22 JULIO MAYEN, an individual, on his own ) Case No. 1:21-cv-00145-AWI-JLT behalf and on behalf of all others similarly ) situated, ) STIPULATION OF ALL PARTIES TO ) RESCHEDULE THE 4/29/2021 Plaintiff, ) MANDATORY SCHEDULING ) CONFERENCE vs. ) ) AND CAL CENTRAL HARVESTING, INC., a ) California Corporation; and Does 1 ) [PROPOSED] ORDER through 100, inclusive, ) ) Defendant ) ) ) 23 \\\ 24 \\\ 25 \\\ 26 \\\ 27 \\\ 16 17 18 19 20 21 28 CAMPAGNE & CAMPAGNE A PROF. CORP. AIRPORT OFFICE CENTER 1685 NORTH HELM AVENUE FRESNO, CALIFORNIA 93727 TELEPHONE (559) 255-1637 FAX (559) 252-9617 STIPULATION OF ALL PARTIES TO RESCHEDULE THE 4/29/2021 MANDATORY SCHEDULING CONFERENCE AND [PROPOSED] ORDER 1 TO THE HONORABLE MAGISTRATE JENNIFER L. THURSTON AND TO ALL 2 PARTIES OF RECORD: 3 Please be advised that Plaintiff Julio Mayen and Defendant Cal Central Harvesting, Inc., 4 (the only parties in this litigation), by and through their counsel of record, have stipulated that the 5 Court should please reschedule the Mandatory Scheduling Conference which is currently set for 6 April 29, 2021 to at least three months later at a time convenient for the Magistrate. This request 7 is made by all parties of record due to the press of business of counsel. 8 9 Dated: April 26, 2021 Lipeles Law Group, APC 10 By /s/ Kevin A. Lipeles Attorneys for Plaintiff Julio Mayen 11 12 13 Respectfully submitted, Dated: April 26, 2021 14 Respectfully submitted, Law Firm of Campagne & Campagne A Professional Corporation 15 By /s/ Thomas E. Campagne Attorneys for Defendant Cal Central Harvesting, Inc. 16 17 18 ORDER 19 Based upon the stipulation of the parties, the scheduling conference is continued July 23, 20 2021 at 8:30 a.m. Counsel are advised that the Court will not again continue the scheduling 21 conference unless they demonstrate good cause. The busy schedule of counsel will not 22 suffice in future. 23 24 25 26 IT IS SO ORDERED. Dated: April 26, 2021 _ /s/ Jennifer L. Thurston CHIEF UNITED STATES MAGISTRATE JUDGE 27 28 CAMPAGNE & CAMPAGNE A PROF. CORP. AIRPORT OFFICE CENTER 1685 NORTH HELM AVENUE FRESNO, CALIFORNIA 93727 TELEPHONE (559) 255-1637 FAX (559) 252-9617 STIPULATION OF ALL PARTIES TO RESCHEDULE THE 4/29/2021 MANDATORY SCHEDULING CONFERENCE AND [PROPOSED] ORDER Page 2

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