Capitol Waste, Inc. v. A Greener Globe, et al.,

Filing 11

STIPULATION and ORDER signed by Judge Frank C. Damrell, Jr. on 10/28/10 ORDERING that the discovery cutoff is EXTENDED to 12/31/10. (Benson, A.)

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Capitol Waste, Inc. v. A Greener Globe, et al., Doc. 11 1 2 3 4 5 6 Robb Hewitt, Attorney at Law,CBN158751 LAW OFFICES OF ROBB HEWITT 1317 Fifteenth Street, Suite A Sacramento, CA 95814 (916)447-2012 Attorney for Plaintiff Capitol Waste, Inc. IN THE UNITED STATES DISTRICT COURT FOR THE 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 ) ) ) ) Plaintiff, ) ) vs. ) ) ) A GREENER GLOBE, aka A GREENER GLOBE CORPORATION, aka A GREENER GLOBE, INC. aka ) A GREENER GLOBE, DANIEL G. SHEEHAN, dba A ) GREENER GLOBE, JACKLYN C. SHEEHAN, dba A ) ) GREENER GLOBE; WESTERN HIGHLAND ) MORTGAGE FUND 1, LLC; UNITED STATES DEPARTMENT OF THE TREASURY INTERNAL ) REVENUE SERVICE; NORTHERN CALIFORNIA ) COLLECTION SERVICE, INC.Does 1-200, inclusive, ) ) ) Defendants CAPITOL WASTE, INC, EASTERN DISTRICT OF CALIFORNIA Case No.: 2:10-CV-00866-FCD-EFB REQUEST BY STIPULATION FOR ORDER AMENDING FIRST AMENDED PRETRIAL SCHEDULING (ORDER FILED 8-13-10) ORDER ON STIPULATION Plaintiff, by undersigned counsel, submits this request by stipulation to amend Pretrial Scheduling ordered and filed in this case on August 13, 2010, so as to permit discovery cutoff to extend until December 31, 2010, due to Plaintiff's counsel's ongoing medical issues. STIPULATION WHEREAS Plaintiff's counsel has suffered an injury to his back for which he is undergoing diagnosis and treatment ("Medical Condition"); and 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 WHEREAS Plaintiff's counsel's Medical Condition has interfered with his ability to work competently full time on his case load as well as in the instant case, has also resulted in his inability to attend certain noticed depositions to date, and is expected to continue to interfere with Plaintiff's counsel performance of his duties in this case over the short term, and WHEREAS Plaintiff's counsel believes he will be able to complete discovery by December 31, 2010, THE PARTIES HEREBY STIPULATE and agree, so as to accommodate Plaintiff's counsel, that there is good cause to request an extension of discovery cutoff until December 31, 2010, and accordingly stipulate, subject to the courts approval, to amend the Pretrial Scheduling in this case to include a discovery cutoff date of December 31, 2010. Dated: /s/ LAW OFFICES OF ROBB HEWITT Robb Hewitt, Attorney for Capitol Waste. Inc. Dated: /s/ WALSH LAW FIRM James R. Walsh, Attorney for Greener Globe, Daniel Sheehan, Jacklyn Sheehan, and Western Mortgage Fund 1, LLC /s/ ____ BENJAMIN B. WAGNER, United States Attorney ADAIR F. BOROUGHS U.S. Department of Justice, Tax Division, Attorneys for The United States of America. Dated: 20 21 22 23 24 25 IT IS SO ORDERED. DATED: October 28, 2010 FRANK C. DAMRELL, JR. UNITED STATES DISTRICT JUDGE

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