Continental Casualty Company v. St. Paul Surplus Lines Insurance Company

Filing 267

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 10/30/2013 ORDERING the Proposed Findings of Fact and Law shall be filed by 11/6/2013. (Donati, J)

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1 2 3 4 5 6 7 8 10 11 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 9 13 14 15 16 17 18 G. EDWARD RUDLOFF, JR. (SBN 56058) DIANNE J. MECONIS (SBN 120895) FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 2000 Powell Street, Suite 900 Emeryville, CA 94608 Telephone: (510) 740-1500 Facsimile: (510) 740-1501 E-mail: erudloff@fgppr.com E-mail: dmeconis@fgppr.com ROBERT C. GEBHARDT (SBN 48965) COOPER WHITE & COOPER 201 California Street, 17th Floor San Francisco, CA 94111 Telephone: (415) 433-1900 Facsimile: (415) 433-5530 E-mail: rgebhardt@cwclaw.com Attorneys for Defendant ST. PAUL SURPLUS LINES INSURANCE COMPANY JOHN E. PEER (SBN 95978) JEFFREYA. DOLLINGER (SBN 146582) KATY A. NELSON (173759) WOOLLS & PEER A Professional Corporation nd One Wilshire Boulevard, 22 Floor Los Angeles, California, 90017 Telephone: (213) 620-1600 Facsimile: (213) 629-1660 jpeer@woollspeer.com jdollinger@woollspeer.com knelson@woollspeer.com Attorneys for Plaintiff CONTINENTAL CASUALTY COMPANY 19 UNITED STATES DISTRICT COURT 20 EASTERN DISTRICT OF CALIFORNIA – SACRAMENTO DIVISION 21 22 CONTINENTAL CASUALTY COMPANY, 23 26 STIPULATION FOR EXTENSION OF DEADLINE TO FILE PROPOSED FINDINGS OF FACT AND CONCLUSIONS OF LAW; ORDER Plaintiff, 24 25 No. 2:07-CV-01744-TLN-EFB vs. ST. PAUL SURPLUS LINES INSURANCE COMPANY; DOES 1 THROUGH 10, INCLUSIVE, 27 Defendants Trial Date: September 30, 2013 / HON. TROY L. NUNLEY 28 1 STIPULATION FOR EXTENSION OF DEADLINE AND ORDER CASE No. 2:07-CV-01744-TLN-EFB 321723.1 Defendant ST. PAUL SURPLUS LINES INSURANCE COMPANY and Plaintiff 1 2 CONTINENTAL CASUALTY COMPANY, by and through their attorneys of record, 3 stipulate as follows: 1. The bench trial in this matter began on September 30, 2013 and continued on 4 October 1, 2, 7, 8 and 9, 2013. 5 6 2. On October 9, 2013, the Court ordered parties to each submit Proposed Findings 7 of Fact and Conclusions of Law (Fed.R.Civ.Pro. 52) within 21 days (October 30, 8 2013). 3. The parties recently received the official trial transcripts, prepared by the official 10 court reporter, for the last three days of trial (October 7, 8 and 9, 2013) on the 11 evening of Tuesday, October 22, 2013 via e-mail. 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 9 4. Defendant ST. PAUL SURPLUS LINES INSURANCE COMPANY has been 13 working diligently to prepare its Proposed Findings of Fact and Conclusions of 14 Law, but requests a one-week (7-day) extension in order to provide the Court with 15 thorough findings and conclusions of law and to ensure accurate citations to the 16 record to assist the Court in its review. 17 5. Defendant has contacted Plaintiff regarding its request for an extension of the 18 deadline. Plaintiff does not object to Defendant’s request for an extension of 19 time. 6. The parties agree that Defendant has initiated this request, but upon the Court’s 20 21 granting of the Proposed Order, both parties will file its Proposed Findings of Fact 22 and Law by Wednesday, November 6, 2013. 7. There have been no prior requests for a continuance of this deadline. 23 24 /// 25 /// 26 /// 27 /// 28 2 STIPULATION FOR EXTENSION OF DEADLINE AND ORDER CASE No. 2:07-CV-01744-TLN-EFB 321723.1 NOW, THEREFORE, by and through their undersigned counsel of record, Defendant 1 2 ST. PAUL SURPLUS LINES INSURANCE COMPANY and Plaintiff CONTINENTAL 3 CASUALTY COMPANY hereby stipulate to the following: The deadline for parties to file its respective Proposed Findings of Fact and 4 5 Conclusions of Law is continued from October 30, 2013 to November 6, 2013. 6 7 8 DATED: October 29, 2013 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC By: 10 11 /s/ G. Edward Rudloff, Jr.______ G. Edward Rudloff, Jr. Attorney for Defendant ST. PAUL SURPLUS LINES INSURANCE COMPANY 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 9 13 14 DATED: October 29, 2013 WOOLLS &PEER A Professional Corporation 15 16 By: 17 /s/ Jeffrey A. Dollinger Jeffrey A. Dollinger ______ Attorney for Plaintiff CONTINENTAL CASUALTY COMPANY 18 19 ORDER 20 IT IS SO ORDERED. 21 22 DATED: October 30, 2013 23 24 Troy L. Nunley United States District Judge 25 26 27 28 3 STIPULATION FOR EXTENSION OF DEADLINE AND ORDER CASE No. 2:07-CV-01744-TLN-EFB 321723.1

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