Watts v. Allstate Indemnity Company et al
Filing
275
STIPULATION and ORDER signed by Senior Judge Lawrence K. Karlton on 7/18/11 ORDERING that Plaintiff's deadline to file Objections and Motion to Tax Cost is EXTENDED to 9/15/2011. (Mena-Sanchez, L)
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WENDY C. YORK (State Bar No. 166864)
JENNIFER B. EULER (State Bar No. 232378)
YORK LAW CORPORATION
1111 Exposition Boulevard, Building 500
Sacramento, CA 95815
Telephone: (916) 643-2200
Facsimile: (916) 643-4680
Email:
wyork@yorklawcorp.com
jeuler@yorklawcorp.com
KIMBERLY A. KRALOWEC, (State Bar No. 163158)
THE KRALOWEC LAW GROUP
188 The Embarcadero, Suite 800
San Francisco, California 94105
Telephone: (415) 546-6800
Facsimile: (415) 546-6801
Email:
kkralowec@kraloweclaw.com
Attorneys for Plaintiff
ROBERT WATTS
MARK HANOVER (Pro Hoc Vice)
SONIA MARTIN (State Bar No. 191148)
SONNENSCHEIN NATH & ROSENTHAL LLP
2121 North California Blvd., Suite 800
Walnut Creek, CA 94596
Telephone: (925) 949-2600
Facsimile: (925) 949-2610
Email:
smartin@sonnenschein.com
mhanover@sonnenschein.com
Attorneys for Defendants
ALLSTATE INDEMNITY COMPANY,
ALLSTATE INSURANCE COMPANY, and
ALLSTATE PROPERTY AND CASUALTY
INSURANCE COMPANY
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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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ROBERT WATTS, on behalf of himself
individually and all other similarly situated,
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Plaintiff,
vs.
ALLSTATE INDEMNITY COMPANY, an
Illinois corporation, ALLSTATE
INSURANCE COMPANY, an Illinois
CASE NO.: 2:08-CV-01877-LKK-GGH
STIPULATION AND ORDER TO EXTEND
PLAINTIFF’S DEADLINE TO FILE
OBJECTIONS AND MOTION TO TAX
COSTS
Place:
Judge:
Courtroom 4, 15th Floor
Hon. Lawrence K. Karlton
-1STIPULATION AND [PROPOSED] ORDER TO EXTEND PLAINTIFF’S DEADLINE TO FILE OBJECTIONS
AND MOTION TO TAX COSTS
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corporation, ALLSTATE PROPERTY
AND CASUALTY INSURANCE
COMPANY, an Illinois corporation; and
DOES 1 through 100, inclusive,
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Defendants.
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Plaintiff Robert Watts and Defendants Allstate, by and through their respective counsel of
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record, hereby stipulate and agree as follows:
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WHEREAS, the Court entered judgment in the present action on May 12, 2011 against
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Robert Watts;
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WHEREAS, Defendants filed a Bill of Costs on May 26, 2011 pursuant to Local Rule 292;
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WHEREAS, Plaintiff will file objections to Defendants’ Bill of Costs;
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WHEREAS, the parties entered into a stipulation to extend Plaintiff’s deadline to file his
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objections and motion to tax costs on May 31, 2011;
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WHEREAS, this Court signed the stipulation on June 2, 2011 extending Plaintiff’s deadline
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to July 18, 2011;
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WHEREAS, Plaintiff subsequently filed a motion for a new trial which is scheduled to be
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heard August 15, 2011;
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WHEREAS, Defendants do not oppose Plaintiff’s request that the Court extend Plaintiff’s
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deadline(s) to file said objections and/or motion until September 15, 2011;
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WHEREAS, Federal Rule of Civil Procedure Rule 6(b) allows the Court to extend time, for
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good cause, if the request to extend time is made before the original time expires;
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IT IS HEREBY STIPULATED that, with the Court’s approval, Plaintiff may object to
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Defendants’ Bill of Costs and file a motion to tax costs up to and including September 15, 2011.
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IT IS SO STIPULATED.
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-2STIPULATION AND [PROPOSED] ORDER TO EXTEND PLAINTIFF’S DEADLINE TO FILE OBJECTIONS
AND MOTION TO TAX COSTS
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Respectfully submitted,
Dated: July 14, 2011
YORK LAW CORPORATION
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By: /s/______________________________
WENDY C. YORK
JENNIFER B. EULER
Attorneys for Plaintiff ROBERT WATTS
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Dated: July 14, 2011
SONNENSCHEIN NATH & ROSENTHAL LLP
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By/s/ _______________________________
SONIA MARTIN
Attorneys for Attorneys for Defendants
ALLSTATE INDEMNITY COMPANY,
ALLSTATE INSURANCE COMPANY, and
ALLSTATE PROPERTY AND CASUALTY
INSURANCE COMPANY
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IT IS SO ORDERED.
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Dated: July 18, 2011.
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-3STIPULATION AND [PROPOSED] ORDER TO EXTEND PLAINTIFF’S DEADLINE TO FILE OBJECTIONS
AND MOTION TO TAX COSTS
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