Atondo v. County of Solano, et al
Filing
31
STIPULATION and ORDER 29 signed by Judge Frank C. Damrell, Jr on 4/14/2010. The parties have until April 26, 2010 to respond the following discovery: Plaintiff's Request for Production of Documents to Defendant County of Solano, and Defendant County of Solano's Request for Production of Documents to Plaintiff. (Krueger, M)
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MATHENY SEARS LINKERT &JAIME, LLP
POST OFFICE BOX 13711 SACRAMENTO, CALIFORNIA 95853-4711
Law Offices of
RAYMOND BANGLE III (SBN 105057) SCOTT A. CLAREMON (SBN 246483) 3638 American River Drive Post Office Box 13711 Sacramento, CA 95853-4711 Telephone: (916) 978-3434 Facsimile: (916) 978-3430
MATHENY SEARS LINKERT & JAIME LLP
Attorneys for Defendants, COUNTY OF SOLANO and ANDREW SWANSON UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA
10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Plaintiff GEORGE ATONDO propounded a Request for Production of Documents on Defendant ANDREW SWANSON on February 17, 2010, and also propounded a Request for Production of Documents on Defendant COUNTY OF SOLANO on February 26, 2010. Defendants propounded a Request for Production of Documents on Plaintiff on February 22, 2010. Pursuant to a stipulation entered into by the parties on March 24, 2010, under Local Rule 6-144(a), the deadline for a response to all discovery was extended to April 15, 2010. Since that time, the parties have met and conferred regarding a protective order for confidential documents and regarding the scope of discovery requests to Defendant SWANSON. The parties have agreed on a protective order and Defendant SWANSON will respond to the document requests on or before April 15, 2010, as stipulated. However, the parties seek an additional short continuance to respond to the requests to the Plaintiff and Defendant COUNTY 1 v. COUNTY OF SOLANO, ANDREW SWANSON in his individual capacity, and DOES 1 through 15, inclusive, Defendants. GEORGE ATONDO, Plaintiff, Case No. 2:08-cv-02794-FCD-EFB STIPULATION AND ORDER FOR EXTENSION OF TIME FOR PARTIES TO RESPOND TO DISCOVERY
LAW OFFICES OF
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MATHENY SEARS LINKERT & JAIME, LLP
OF SOLANO. IT IS THEREFORE HEREBY STIPULATED by and between the parties hereto through their respective attorneys of record that the time for the parties to respond the following discovery is hereby extended to April 26, 2010 1. Plaintiff GEORGE ATONDO's Request for Production of Documents to Defendant COUNTY OF SOLANO; and 2. Defendant COUNTY OF SOLANO's Request for Production of Documents to Plaintiff GEORGE ATONDO. Dated: April 14, 2010
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MATHENY SEARS LINKERT & JAIME LLP
/s/ Raymond Bangle III By:____________________________________ RAYMOND BANGLE III, Attorneys for Defendants, COUNTY OF SOLANO and ANDREW SWANSON
POST OFFICE BOX 13711 SACRAMENTO, CALIFORNIA 95853-4711
LAW OFFICES OF
Dated: April 14, 2010
PRICE AND ASSOCIATES
/s/ Pamela Y. Price BY:______________________________________ PAMELA PRICE, Attorneys for Plaintiff, GEORGE ATONDO State Bar No. 107713 Price and Associates The Latham Square Building 1611 Telegraph Ave., Suite 1450 Oakland, CA 94612
IT IS SO ORDERED.
Dated: April 14, 2010
_______________________________________ FRANK C. DAMRELL, JR. UNITED STATES DISTRICT JUDGE
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