Huynh v. Hubbard et al
Filing
96
STIPULATION and ORDER signed by Magistrate Judge Edmund F. Brennan on 03/07/18 ORDERING that the deadline to file dispositional documents is EXTENDED by 60 days. (Benson, A.)
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EMMETT C. STANTON (CSB No. 83930)
estanton@fenwick.com
YIXIN ZHANG (CSB No. 270527)
yzhang@fenwick.com
GEOFFREY MILLER (CSB No. 308676)
gmiller@fenwick.com
FENWICK & WEST LLP
Silicon Valley Center
801 California Street
Mountain View, CA 94041
Telephone:
650.988.8500
Facsimile:
650.938.5200
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EWA M. DAVISON (WSBA No. 39524)
edavison@fenwick.com
FENWICK & WEST LLP
1191 Second Avenue, 10th Floor
Seattle, WA 98101
Telephone:
206.389.4510
Facsimile:
206.389.4511
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MOUNTAIN VIEW
ATTORNEYS AT LAW
F ENWICK & W EST LLP
Attorneys for TAI HUYNH
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UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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TAI HUYNH,
Case No.: 2:09-cv-1979 MCE CKD P
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Plaintiff,
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v.
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SUSAN HUBBARD, et al.,
STIPULATION AND [PROPOSED]
ORDER FOR EXTENDING
DEADLINE TO FILE
DISPOSITIONAL DOCUMENTS
PER DKT. NO. 94
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Defendants.
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Plaintiff Tai Huynh and Defendants, pursuant to Local Rules 143 and 144, hereby
stipulate as follows:
The parties appeared before the Court for a settlement conference on November 30, 2017.
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At that conference, pursuant to representations by counsel for the parties, the Court determined
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that the matter was settled and ordered dispositional documents to be filed not later than 90 days
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thereafter, or March 6, 2018. Dkt. No. 94. The parties have exchanged drafts of a settlement
STIP. AND [PROPOSED] ORDER FOR EXTENDING
DEADLINE TO FILE DISPOSITIONAL DOCUMENTS
2:09-cv-1979 MCE CKD P
1 agreement and have conferred via telephone, but have not yet been able to finalize all necessary
2 terms of the agreement.
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The parties continue to work toward finalizing all necessary terms, and thus hereby
4 stipulate, subject to the Court’s approval, to extend the deadline to file dispositional documents
5 by 60 days. This is the first extension sought as to this deadline.
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Good cause exists for the extension as the parties, through their respective counsel, are
7 working toward a settlement agreement that will resolve this matter and have been working
8 diligently toward finalizing the settlement agreement.
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NOW THEREFORE, IT IS HEREBY STIPULATED, by and between the parties, and
10 subject to the Court's approval, that the deadline to file dispositional documents is extended by
MOUNTAIN VIEW
12 Dated: March 7, 2018
ATTORNEYS AT LAW
F ENWICK & W EST LLP
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FENWICK & WEST LLP
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By: s/ Geoffrey R. Miller
Geoffrey R. Miller
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Attorneys for TAI HUYNH
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Dated: March 7, 2018
XAVIER BECERRA
Attorney General of California
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By: s/ Joseph R. Wheeler
JOSEPH R. WHEELER
Deputy Attorney General
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Attorneys for Defendants
WESTIN, SMITH, NELSON and CALLISON
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ORDER
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Pursuant to the foregoing stipulation, IT IS SO ORDERED.
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STIP. AND [PROPOSED] ORDER FOR EXTENDING
DEADLINE TO FILE DISPOSITIONAL DOCUMENTS
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2:09-cv-1979 MCE CKD P
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