Coleman, et al v. Schwarzenegger, et al

Filing 6373

STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 10/30/2019 ORDERING the filing deadline for the Joint Statement Outlining their Joint Proposal for Certification, or Competing Proposal is CONTINUED to 11/5/2019. (Donati, J)

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1 2 3 4 5 6 7 8 XAVIER BECERRA, State Bar No. 118517 Attorney General of California ADRIANO HRVATIN, State Bar No. 220909 Supervising Deputy Attorney General ELISE OWENS THORN, State Bar No. 145931 TYLER V. HEATH, State Bar No. 271478 ROBERT W. HENKELS, State Bar No. 255410 Deputy Attorneys General 1300 I Street, Suite 125 P.O. Box 944255 Sacramento, CA 94244-2550 Telephone: (916) 210-7318 Fax: (916) 324-5205 E-mail: Elise.Thorn@doj.ca.gov Attorneys for Defendants ROMAN M. SILBERFELD, State Bar No. 62783 GLENN A. DANAS, State Bar No. 270317 ROBINS KAPLAN LLP 2049 Century Park East, Suite 3400 Los Angeles, CA 90067-3208 Telephone: (310) 552-0130 Fax: (310) 229-5800 E-mail: RSilberfeld@RobinsKaplan.com Special Counsel for Defendants 9 IN THE UNITED STATES DISTRICT COURT 10 FOR THE EASTERN DISTRICT OF CALIFORNIA 11 SACRAMENTO DIVISION 12 13 14 Case No. 2:90-cv-00520 KJM-DB (PC) RALPH COLEMAN, et al., 15 16 v. 17 Plaintiffs, STIPULATION AND ORDER EXTENDING THE DEADLINE TO FILE THE PARTIES’ JOINT REPORT ON PROPOSALS FOR CERTIFICATION OF DATA GAVIN NEWSOM, et al., 18 Defendants. Judge: The Hon. Kimberly J. Mueller 19 20 On October 23, 2019, the Court directed the parties to meet and confer regarding Plaintiffs’ 21 request that Defendants self-certify data, and to file a joint statement outlining their joint proposal 22 for certification, or competing proposals, by October 30, 2019. (ECF No. 6365.) On Friday, 23 October 25, 2019, the parties scheduled a teleconference to discuss their respective proposals for 24 self-certification. On October 28, 2019 the parties met and conferred. And on October 29, 2019, 25 Defendants requested additional information concerning Plaintiffs’ proposal, which Plaintiffs 26 provided that day. Defendants provided additional information on October 30, 2019, as did 27 Plaintiffs in response. 28 /// [3457022.1] 1 Stip. & Order for EOT to File Joint Report on Certification of Data (2:90-cv-00520 KJM-DB (PC)) 1 Based on the information shared during their October 28, 29, and 30, 2019 meet-and-confer 2 sessions, the parties agree that they need more time to discuss the certification process and their 3 respective proposals. Accordingly, the parties stipulate and request to continue the October 30, 4 2019 deadline to November 5, 2019. 5 6 IT IS SO STIPULATED. Dated: October 30, 2019 XAVIER BECERRA Attorney General of California ADRIANO HRVATIN Supervising Deputy Attorney General 7 8 9 /S/ Elise Owens Thorn Elise Owens Thorn Deputy Attorney General Attorneys for Defendants 10 11 12 Dated: October 30, 2019 ROSEN BIEN GALVAN & GRUNFELD LLP 13 /S/ Jessica Winter Jessica Winter Attorneys for Plaintiffs 14 15 16 17 IT IS SO ORDERED. Dated: October 30, 2019 18 UNITED STATES DISTRICT JUDGE 19 20 21 22 23 24 25 26 27 28 [3457022.1] 2 Stip. & Order for EOT to File Joint Report on Certification of Data (2:90-cv-00520 KJM-DB (PC))

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