Coleman, et al v. Schwarzenegger, et al
Filing
6827
STIPULATION and ORDER signed by Chief District Judge Kimberly J. Mueller on 8/18/2020 GRANTING request for an additional three days to complete the joint report. Joint report is now due 8/21/2020. (Zignago, K.)
Case 2:90-cv-00520-KJM-DB Document 6825 Filed 08/18/20 Page 1 of 2
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XAVIER BECERRA
Attorney General of California
MONICA N. ANDERSON
Senior Assistant Attorney General
ADRIANO HRVATIN
Supervising Deputy Attorney General
KYLE A. LEWIS, State Bar No. 201041
ELISE OWENS THORN, State Bar No. 145931
TYLER V. HEATH, State Bar No. 271478
LUCAS L. HENNES, State Bar No. 278361
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
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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SACRAMENTO DIVISION
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RALPH COLEMAN, et al.,
v.
GAVIN NEWSOM, et al.,
Case No. 2:90-cv-00520 KJM-DB (PC)
Plaintiffs, STIPULATION AND ORDER TO
EXTEND TIME TO FILE AUGUST 18,
2020 JOINT REPORT ADDRESSING
CURRENT COVID-19-RELATED
DEPARTURES FROM PROGRAM
GUIDE REQUIREMENTS AND
RESUMPTION OF PROGRAM GUIDE
Defendants. MENTAL HEALTH CARE
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Under a July 28, 2020 order and an August 14 minute order, the Court directed the parties
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to file a joint report by August 18 setting forth updates regarding any changes to Appendix A of
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the stipulation filed May 20 (ECF No. 6679), and “their positions on the path to full resumption
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of Program Guide level mental health care assuming the COVID-19 pandemic has not abated and
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will not abate for some time.” (ECF Nos. 6791 and 6814.)
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The parties met and conferred and worked to prepare a joint report to address the Court’s
orders. However, Defendants require some additional time to confer with their clients, given
[3545068.2]
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Stip. & Order Extend Time File Joint Report (2:90-cv-00520 KJM-DB (PC))
Case 2:90-cv-00520-KJM-DB Document 6825 Filed 08/18/20 Page 2 of 2
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competing demands on their time during the COVID-19 pandemic, and memorialize their
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position, particularly regarding the path to full resumption of Program Guide level mental health
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care. Plaintiffs agree to Defendants’ request for an additional three days to complete the joint
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report. Accordingly, the parties request an extension of three business days from the present
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August 18 due date, such that their joint report will be due by Friday, August 21.
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The Special Master is aware of and approves this stipulated request for additional time.
Dated: August 18, 2020
XAVIER BECERRA
Attorney General of California
ADRIANO HRVATIN
Supervising Deputy Attorney General
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/s/ Kyle A. Lewis
Kyle A. Lewis
Deputy Attorney General
Attorneys for Defendants
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Dated: August 18, 2020
ROSEN BIEN GALVAN & GRUNFELD LLP
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/s/ Jessica Winter
Jessica Winter
Attorneys for Plaintiffs
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IT IS SO ORDERED.
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Dated: August 18, 2020
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[3545068.2]
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Stip. & [Prop.] Order Extend Time File Joint Report (2:90-cv-00520 KJM-DB (PC))
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