Oliver v. Wong et al

Filing 80

STIPULATION and ORDER signed by Magistrate Judge Allison Claire on 03/11/14 ordering that in order to preserve resources, good cause exists to continue the deadline to file the Joint/Separate Pretrial Statement and Joint Statement of undisputed and disputed factual issues from 03/12/14 to 04/14/14, because the parties are hopeful that a notice of settlement will be filed on or before that date and the parties will file all dispositional documents 21 days from the notice of settlement in accordance with local rule 160. The 03/26/14 pretrial conference is hereby vacated to be reset by the court if appropriate. (Plummer, M)

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1 2 3 4 5 6 7 SEYFARTH SHAW LLP James D. McNairy (SBN 230903) jmcnairy@seyfarth.com Sophia S. Kwan (SBN 257666) skwan@seyfarth.com Julie G. Yap (SBN 243450) jyap@seyfarth.com 400 Capitol Mall, Suite 2350 Sacramento, California 95814-4428 Telephone: (916) 448-0159 Facsimile: (916) 558-4839 Attorneys for Plaintiff JAMES OLIVER 8 9 10 11 12 13 DEPARTMENT OF JUSTICE Office of Attorney General of California Kevin W. Reager (SBN 178478) 1300 I Street P. O. Box 944255 Sacramento, CA 94244-2550 Telephone: (916) 324-5331 Facsimile: (916) 322-8288 Attorneys for Defendant SCOTT CHESSER 14 15 UNITED STATES DISTRICT COURT 16 EASTERN DISTRICT OF CALIFORNIA 17 18 JAMES OLIVER, Plaintiff, 19 20 21 Case No. 2:08-cv-2524 LKK AC P STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINE TO FILE JOINT/SEPARATE PRETRIAL STATEMENT AND JOINT STATEMENT OF UNDISPUTED FACTS AND DISPUTED FACTUAL ISSUES v. SCOTT CHESSER, Defendant. 22 23 Judge: Hon. Allison Claire 24 25 Plaintiff James Oliver and Defendant Scott Chesser, by and through their respective 26 counsel of record, hereby submit the following stipulate to continue the deadline to file a 27 Joint/Separate Pretrial Statement and the Joint Statement of Undisputed Facts and Disputed 28 1 STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINE TO FILE JOINT PRETRIAL STATEMENT/SEPARATE STATEMENT 16962466v.1 1 Factual Issues, from March 12, 2014 to April 14, 2014, because the Parties are in the process of 2 negotiating a settlement. 3 WHEREAS, the Parties have been engaging in good faith settlement discussions; 4 WHEREAS, the Parties have agreed to the monetary terms of the settlement; 5 WHEREAS, the Parties are working diligently to finalize the non-monetary terms of the 6 settlement but do not anticipate that they will be able to file dispositional documents within 21 7 days in accordance with Local Rule 160 should a Notice of Settlement be filed today; 8 9 IT IS SO STIPULATED that, in order to preserve resources, good cause exists to continue the deadline to file the Joint/Separate Pretrial Statement and Joint Statement of 10 Undisputed and Disputed Factual Issues, from March 12, 2014 to April 14, 2014, because the 11 parties are hopeful that a Notice of Settlement will be filed on or before that date and the Parties 12 will file all dispositional documents 21 days from the Notice of Settlement in accordance with 13 Eastern District Local Rule 160. 14 Dated: March 11, 2014 SEYFARTH SHAW LLP 15 By: /s/ Sophia S. Kwan James D. McNairy Sophia S. Kwan Julie G. Yap Attorneys for Plaintiff JAMES OLIVER 16 17 18 19 Dated: March 11, 2014 DEPARTMENT OF JUSTICE Office of the Attorney General of California 20 21 By: /s/ Kevin Reager Kevin Reager Attorneys for Defendant SCOTT CHESSER 22 23 24 25 26 The March 26, 2014 pretrial conference is hereby vacated to be reset by the court if appropriate. IT IS SO ORDERED. DATED: March 11, 2014 27 28 2 STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINE TO FILE JOINT PRETRIAL STATEMENT/SEPARATE STATEMENT 16962466v.1

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