Lewis, et al v. Russell, et al
Filing
505
STIPULATION and ORDER signed by Magistrate Judge Allison Claire on 9/20/2016 ORDERING that the hearing re 498 Motion to Compel and for Sanctions is CONTINUED to 11/2/2016 at 10:00 AM in Courtroom 26 (AC) before Magistrate Judge Allison Claire. (Zignago, K.)
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JENNIFER HARTMAN KING (Bar No. 211313)
ALANNA C. LUNGREN (Bar No. 269668)
TYLER BOWLIN (Bar No. 305715)
KING WILLIAMS LLP
520 Capitol Mall, Suite 750
Sacramento, CA 95814
Telephone:
(916) 379-7530
Facsimile:
(916) 379-7535
JHartmanKing@KingWilliamsLaw.com
ALungren@KingWilliamsLaw.com
TBowlin@KingWilliamsLaw.com
BEST, BEST & KRIEGER LLP
HARRIET A. STEINER (Bar No. 109436)
500 Capitol Mall, Suite 1700
Sacramento, CA 95814
Telephone: (916) 325-4000
Facsimile:
(916) 325-4010
Harriet.Steiner@bbklaw.com
Exempt From Filing Fees Pursuant To
Government Code Section 6103
Attorneys for Defendant
CITY OF DAVIS
KING WILLIAMS LLP
520 CAPITOL MALL, SUITE 750
SACRAMENTO, CA 95814
TEL: (916) 379-7530 / FAX: (916) 379-7535
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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CHARLES H. LEWIS AND JANE W.
LEWIS,
Plaintiffs,
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v.
ROBERT D. RUSSELL, ET AL.,
Defendants,
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Case No. 2:03-CV-02646-WBS-AC
AMENDED STIPULATION TO
CONTINUE
THE CITY OF DAVIS’S
MOTION TO COMPEL AND FOR
SANCTIONS AS TO
THE DAVIS CENTER;
[PROPOSED] ORDER
[LR 144]
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Hearing Date:
New Date:
Time:
Courtroom:
Magistrate Judge:
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September 21, 2016
November 2, 2016
10:00 a.m.
26, 8th Floor
Hon. Allison Claire
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AND RELATED COUNTER, CROSS AND
THIRD PARTY CLAIMS.
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00012937.1
STIPULATION TO CONTINUE THE CITY OF DAVIS’S MOTION TO COMPEL/SANCTIONS
[PROPOSED] ORDER
STIPULATION
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Defendant, The City of Davis (the “City”), and Defendant/Cross-Complainants/Third
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Party Plaintiffs THE DAVIS CENTER LLC; EMILY STOVER, Individually, and as Trustee of
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the STOVER FAMILY TRUST and as Personal Representative for Melvin Stover (Deceased);
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and RICHARD ALBERT STINCHFIELD, Individually and as Trustee of the ROBERT S.
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STINCHFIELD SEPARATE REAL PROPERTY TRUST and as Trustee of the BARBARA
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ELLEN STINCHFIELD TESTAMENTARY TRUST (“The Davis Center”), (collectively, the
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“Parties”), by and through their respective counsel, hereby stipulate as follows:
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WHEREAS, the City noticed a Motion to Compel and for Sanctions (“Motion”), as to The
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Davis Center which is set for hearing before the Honorable Allison Claire on September 21,
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2016;
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WHEREAS, the City’s Motion seeks an order from the Court compelling The Davis
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Center to produce a prepared witness for the City to depose, pursuant to Federal Rule of Civil
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Procedure rule 30(b)(6) (“Rule 30(b)(6)”), by the discovery cutoff deadline of September 21,
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2016;
WHEREAS, on September 6, 2016, The Davis Center agreed to produce a prepared
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witness pursuant to Rule 30(b)(6) on September 21, 2016, in Woodland Hills, California;
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WHEREAS, this is the first request for continuance of the hearing on the City’s Motion;
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WHEREAS, to allow for the City’s deposition of The Davis Center’s witness to occur, the
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Parties stipulate to continue the hearing on the City’s Motion to a new date of November 2, 2016
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at 10:00 a.m., or at such date and time that is convenient for the Court;
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WHEREAS, the Parties stipulate that all deadlines and/or requirements applicable to the
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City’s Motion pursuant to the Federal Rules of Civil Procedure or Local Rules shall run from the
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new hearing date;
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///
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00012937.1
-1STIPULATION TO CONTINUE THE CITY OF DAVIS’S MOTION TO COMPEL/SANCTIONS;
[PROPOSED] ORDER
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NOW THEREFORE, the Parties hereby stipulate to the recitals set forth directly above.
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Dated: September 12, 2016
Respectfully submitted,
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KING WILLIAMS LLP
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By: /s/ Jennifer Hartman King
Jennifer Hartman King
Attorneys for Defendant
CITY OF DAVIS
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Dated: September 12, 2016
Respectfully submitted,
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KOELLER, NEBEKER,
CARLSON & HALUCK, LLP
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By: /s/ Peter W. Dye
Peter W. Dye
Attorneys for THE DAVIS CENTER
LLC;
EMILY
STOVER,
Individually, and as Trustee of the
STOVER FAMILY TRUST and as
Personal Representative for Melvin
Stover (Deceased); and RICHARD
ALBERT
STINCHFIELD,
Individually and as Trustee of the
ROBERT
S.
STINCHFIELD
SEPARATE REAL PROPERTY
TRUST and as Trustee of the
BARBARA ELLEN STINCHFIELD
TESTAMENTARY TRUST
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[PROPOSED] ORDER
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Pursuant to the foregoing Stipulation,
IT IS SO ORDERED.
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Dated: September 20, 2016
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00012937.1
-2STIPULATION TO CONTINUE THE CITY OF DAVIS’S MOTION TO COMPEL/SANCTIONS;
[PROPOSED] ORDER
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