Lemire et al v. State of California et al
Filing
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STIPULATION AND ORDER signed by Judge Garland E. Burrell, Jr. on 2/25/2015 ORDERING the parties to file their in limine motions, trial briefs, and statements regarding qualified immunity by 2/27/2015. (Michel, G.)
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GERI LYNN GREEN (SBN 127709)
LAW OFFICES OF GREEN & GREEN, LLP
4 Embarcadero Center, 14th Floor
San Francisco, California 94111
Tel: (415) 982-2600
Fax: (415) 358-4562
greenlaw700@gmail.com
gerilynngreen@gmail.com
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Attorneys for Plaintiffs SHERIE LEM IRE,
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GERARD ST. JOVITE, NICOLE ST. JOVITE, THE
ESTATE OF ROBERT ST. JOVITE
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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SACRAMENTO DIVISION
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SHERIE LEMIRE, et. al.,
Case No. 2:08-CV-00455-GEB-EFB
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Plaintiffs,
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Stipulation and Proposed Order for ThreeDay Extension of Deadline to File In Limine
Motions, Trial Briefs, and Prevailing
Party’s Proposed Conclusions Of Law.
v.
CALIFORNIA DEPARTMENT OF
CORRECTIONS AND
REHABILITATION, et al,
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Defendants.
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The undersigned hereby stipulate to and request a four-day extension of the deadline
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for filing in limine motions, trial briefs, and the prevailing party’s proposed statement
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regarding qualified immunity defense. Pursuant to the Court’s Final Pretrial Order these
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Stipulation For Extension Of Time.
Lemire v. CDCR. Case No. 2:08-CV-00455-GEB-EFB
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documents are currently due on February 24, 2015. None of the other dates will be affected
by this extension.
The parties make this request to extend the filing deadline because they anticipate that
they will be able over the next few days to significantly limit the number and extent and reach
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of the in limine motions. Similarly the issues in the trial brief can be honed and refined if the
filing deadline is extended until Friday, February 27, 2015.
The parties’ stipulation will, therefore, conserve judicial resources.
IT IS SO STIPULATED.
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February 24, 2015
Respectfully submitted,
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LAW OFFICES OF GREEN & GREEN, LLP
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/s/ Geri Lynn Green
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Geri Lynn Green
Attorneys for Plaintiff
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Dated: February 24, 2015
KAMALA D. HARRIS
Attorney General of California
CHRISTOPHER J. BECKER
Supervising Deputy Attorney General
/s/ Diana Esquivel
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Diana Esquivel
Deputy Attorney General
Attorneys for Defendants
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Stipulation For Extension Of Time.
Lemire v. CDCR. Case No. 2:08-CV-00455-GEB-EFB
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O R D E R
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The parties’ stipulated request for a four-day extension of deadline to file their in limine
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motions, their trial briefs, and their statements regarding qualified immunity is granted.
These documents shall be filed no later than February 27, 2015.
IT IS SO ORDERED.
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Dated: February 25, 2015
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Stipulation For Extension Of Time.
Lemire v. CDCR. Case No. 2:08-CV-00455-GEB-EFB
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