Gilbertson Draglines, Inc. v. Operating Engineers Health and Welfare Trust Fund for Northern California et al

Filing 70

ORDER signed by Judge Morrison C. England, Jr on 1/11/2012 ORDERING 69 that the request of Anne M. Bevington, counsel for defendants and counter-claimants, to appear telephonically at the motion of Cook Brown LLP to withdraw as counsel of record for plaintiff and counter-defendant Gilbertson Draglines, Inc. on 1/26/2012 at 2:00 PM is GRANTED. The Court shall initiate the phone contact to Plaintiffs' counsel. (Reader, L)

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1 Muriel B. Kaplan, Esq. (SBN 124607) Anne M. Bevington, Esq. (SBN 111320) 2 SALTZMAN & JOHNSON LAW CORPORATION 44 Montgomery Street, Suite 2110 3 San Francisco, CA 94104 (415) 882-7900 4 (415) 882-9287 – Facsimile mkaplan@sjlawcorp.com 5 kmcculloch@sjlawcorp.com 6 Attorneys for Defendants and Counter-Claimants Operating Engineers Health And Welfare Trust 7 Fund For Northern California, et al. 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA – SACRAMENTO DIVISION 10 GILBERTSON DRAGLINES, INC., Case No.: 2:08-CV-01746-MCE 11 Plaintiff, 12 v. 13 OPERATING ENGINEERS HEALTH AND 14 WELFARE TRUST FUND FOR NORTHERN CALIFORNIA, et al., 15 Defendants. 16 17 OPERATING ENGINEERS HEALTH AND WELFARE TRUST FUND FOR NORTHERN 18 CALIFORNIA, et al., 19 DEFENDANTS’ AND COUNTERCLAIMANTS’ REQUEST FOR TELEPHONIC APPEARANCE; ORDER THEREON Date: January 26, 2012 Time: 2:00 p.m. Ctrm: 7 Judge: Hon. Morrison C. England Counter-Claimants. 20 v. 21 GILBERTSON DRAGLINES, INC., 22 Counter-Defendant. 23 Defendants and counter-claimants herein respectfully request that they be permitted to 24 appear telephonically at the Motion to Withdraw as Attorney currently on calendar for January 26, 25 2012. 26 27 1. Defendants and counter-claimants have filed a Statement of Non-Opposition to the 28 motion of Cook Brown LLP to withdraw as counsel of record for plaintiff and counter-defendant -1DEFENDANTS’ AND COUNTER-CLAIMANTS’ REQUEST FOR TELEPHONIC APPEARANCE Case No.: 2:08-CV-01746-MCE C:\iFolder\mengland\Home\TO DOCKET CIVIL\08cv1746.o.0111.DOC 1 Gilbertson Draglines, Inc. 2. 2 In order to minimize additional attorneys’ fees and costs, and in the interest of 3 conserving costs as well as the Court’s time and resources, defendants and counter-claimants 4 respectfully request that they be permitted to appear telephonically at the January 26, 2012 Motion 5 By Cook Brown, LLP to Withdraw as Counsel. I declare under penalty of perjury that I am the attorney for the Plaintiffs in the above 6 7 entitled action, and that the foregoing is true of my own knowledge. Executed this 10th day of January, 2012, at San Francisco, California. 8 SALTZMAN & JOHNSON LAW CORPORATION 9 10 By: /S/Anne M. Bevington Anne M. Bevington Attorneys for defendants and counterclaimants 11 12 13 14 Based on the foregoing, and GOOD CAUSE APPEARING, it is hereby ORDERED that 15 the request of Anne M. Bevington, counsel for defendants and counter-claimants, to appear 16 telephonically at the motion of Cook Brown LLP to withdraw as counsel of record for plaintiff 17 and counter-defendant Gilbertson Draglines, Inc. on January 26, 2012 at 2:00 p.m. is GRANTED. 18 19 20 The Court shall initiate the phone contact to Plaintiffs’ counsel at 415-882-7900. Dated: January 11, 2012 21 __________________________________ MORRISON C. ENGLAND, JR UNITED STATES DISTRICT JUDGE 22 23 24 DEAC_Signature-END: 25 26 27 28 -2DEFENDANTS’ AND COUNTER-CLAIMANTS’ REQUEST FOR TELEPHONIC APPEARANCE Case No.: 2:08-CV-01746-MCE C:\iFolder\mengland\Home\TO DOCKET CIVIL\08cv1746.o.0111.DOC

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