Kemper v. Folsom, LLC et al
Filing
55
ORDER signed by Judge Morrison C. England, Jr on 2/20/2009 GRANTING 48 Stipulation To Extend Deadline To File Joint Final Pretrial Conference Statement. Parties have until 2/27/09 to file Joint Final Pretrail Conference Statement. (Streeter, J)
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CABLE LAW OFFICES FOLSOM, CA
KEITH D. CABLE (SBN 170055) CABLE LAW OFFICES 101 Parkshore Drive, Suite 100 Folsom, CA 95630 Telephone: (916) 608-7995 Facsimile: (916) 984-5775 Attorneys for Plaintiff Edward L. Kemper James O. McLaughlin, Esq. (SBN 97725) KIMBALL, TIREY & ST. JOHN LLP 1202 Kettner Boulevard, Third Floor San Diego, CA 92101 Telephone: (619) 231-1422 Facsimile: (619) 234-7692 Attorneys for Defendants FAIRMONT FOLSOM, LLC And CWS APARTMENT HOMES, LLC UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA EDWARD L. KEMPER, an individual, Plaintiffs, v. FAIRMONT FOLSOM, LLC, and CWS APARTMENT HOMES, LLC, Defendants. Action Filed: Trial Date: April 4, 2007 April 13, 2009 Case No. 2:07-CV-00647-MCE-DAD STIPULATION TO EXTEND DEADLINE TO FILE JOINT FINAL PRETRIAL CONFERENCE STATEMENT; AND ORDER
Plaintiff EDWARD L. KEMPER and Defendants FAIRMONT FOLSOM, LLC, and CWS APARTMENT HOMES, LLC, by and through their attorneys of record, hereby stipulate and agree to extend the deadline to file the Joint Final Pretrial Conference Statement (as established by the Court in Part VII of its Pretrial (Status) Scheduling Order) from February 20, 2009 to February 27, 2009. /// Plaintiff's counsel, Charles Ferguson, underwent abdominal surgery this morning
-12:07-CV-00647-MCE-DAD STIPULATION TO EXTEND DEADLINE TO FILE JOINT FINAL PRETRIAL CONFERENCE STATEMENT; AND ORDER
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CABLE LAW OFFICES FOLSOM, CA
in Miami, Florida relative to a recent diagnosis of Achalasia. Mr. Ferguson was primarily involved in preparing the Joint Final Pretrial Conference Statement on Plaintiff's behalf. Local counsel Keith Cable will be taking over the completion of the statement, and will work in conjunction with defense counsel James McLaughlin in that regard. However, Mr. Cable will reasonably require additional time to complete Plaintiff's portion of the statement. Plaintiff believes there is good cause for this brief extension. SO STIPULATED. CABLE LAW OFFICES
DATED: 2/19/09
By: /s/ Keith D. Cable KEITH D. CABLE Attorney for Plaintiff EDWARD L. KEMPER KIMBALL, TIREY & ST. JOHN LLP
DATED: 2/19/09
By: /s/James O. McLaughlin___ James O. McLaughlin Attorneys for Defendants FAIRMONT FOLSOM, LLC, and CWS APARTMENT HOMES, LLC
ORDER ON STIPULATION The parties having so stipulated, and good cause appearing therefor, IT IS SO ORDERED. DATED: February 20, 2009 __________________________________ MORRISON C. ENGLAND, JR UNITED STATES DISTRICT JUDGE
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2:07-CV-00647-MCE-DAD
STIPULATION TO EXTEND DEADLINE TO FILE JOINT FINAL PRETRIAL CONFERENCE STATEMENT; AND ORDER
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