Hardesty et al v. Sacramento Metropolitan Air Quality Management District et al
Filing
577
STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 6/13/18: HEARING as to 573 Motion for Attorney Fees RESET for 8/10/2018 at 10:00 AM in Courtroom 3 (KJM) before District Judge Kimberly J. Mueller. (Kaminski, H)
1 LONGYEAR O’DEA AND LAVRA, LLP
GREGORY P. O’DEA, Bar No. 110966
2 MARK P. O’DEA, Bar No. 186061
3620 American River Drive - Suite 230
3 Sacramento, CA 95864-5923
odea@longyearlaw.com
4 Telephone: (916) 974-8500
Facsimile: (916) 974-8510
5
Attorneys for Defendant
6 SACRAMENTO COUNTY
7 DEREK P. COLE, Bar No. 204250
dcole@cotalawfirm.com
8 COTA COLE & HUBER LLP
2261 Lava Ridge Court
9 Roseville, California 95661
Telephone:
(916) 780-9009
10 Facsimile:
(916) 780-9050
11 Co-Counsel for Defendant
SACRAMENTO COUNTY
12
UNITED STATES DISTRICT COURT
13
EASTERN DISTRICT OF CALIFORNIA
14
SACRAMENTO DIVISION
15
16 JOSEPH HARDESTY, et al.,
17
18
Plaintiffs,
FURTHER STIPULATION AND ORDER
RE PLAINTIFFS’ MOTIONS FOR
ATTORNEY FEES AND COSTS
v.
19 SACRAMENTO METROPOLITAN AIR
QUALITY MANAGEMENT DISTRICT, et
20 al.,
21
Case No.: 2:10-cv-02414-KJM-KJN
Consolidated with: 2:12-cv-2457-KJM-KJN
Judge:
Hon. Kimberly J. Mueller
Magistrate: Hon. Kendall J. Newman
Defendants.
Trial Date: February 16, 2017
Action Filed: September 8, 2010
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AND RELATED CONSOLIDATED CASES
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Case No. 2:10-cv-02414-KJM-KJN
FURTHER STIPULATION AND ORDER RE PLAINTIFFS' MOTIONS FOR ATTORNEY FEES AND COSTS
1
FURTHER STIPULATION AND ORDER RE PLAINTIFFS’
MOTIONS FOR ATTORNEY FEES AND COSTS
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The parties, through their respective counsel, stipulate as follows:
4
1.
Previously, the parties entered into a stipulation as to the timing of and deadlines
5 associated with the Plaintiffs’ motions for attorney fees and costs bills. The Court approved that
6 stipulation on April 19, 2018 (ECF Doc. No. 561.)
7
2.
In accordance with the parties’ stipulation, the Plaintiffs have filed cost bills and
8 have filed a motion for attorney fees. These filings, referred to as “Cost Claims” in the parties’
9 previous stipulation, were filed on May 29, 2018. A hearing on the Plaintiffs’ Motion for
10 Attorney Fees has been scheduled for July 13, 2018, at 10:00 a.m., in Courtroom 3.
COTA COLE & HUBER LLP
2261 LAVA RIDGE COURT
ROSEVILLE, CALIFORNIA 95661
11
3.
The Defendants have requested, and the Plaintiffs have agreed, to continue the
12 hearing on the Motion for Attorney Fees to August 10, 2018, at 10:00 a.m., in Courtroom 3.
13
4.
As part of the approval of this new hearing date, The parties stipulate that the
14 Defendants shall have until July 13, 2018 to file any oppositions to the Cost Claims and Plaintiffs
15 shall have until August 3, 2018 to file their replies, if any, to the oppositions.
16
5.
Except as amended herein, all other terms of the parties prior stipulation (ECF Doc.
17 No. 561) shall remain in effect.
18 Dated: June 6, 2018.
LONGYEAR, O'DEA & LAVRA, LLP
19
20
By:
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Dated: June 6, 2018.
/s/ Mark P. O’Dea
Mark P. O'Dea, Esq.
Attorneys for Defendant
SACRAMENTO COUNTY
COTA COLE & HUBER LLP
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25
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By:
/s/ Derek P. Cole
Derek P. Cole, Esq.
Co-Counsel for Defendant
SACRAMENTO COUNTY
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Case No. 2:10-cv-02414-KJM-KJN
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FURTHER STIPULATION AND ORDER RE PLAINTIFFS' MOTIONS FOR ATTORNEY FEES AND COSTS
1 Dated: June 6, 2018.
MILLSTONE PETERSON & WATTS LLP
2
3
By:
4
Richard M. Ross, Esq.
LAW OFFICE OF RICHARD M. ROSS
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6
Attorneys for Plaintiffs
THE SCHNEIDER FAMILY
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/s/ Glenn W. Peterson
Glenn W. Peterson, Esq.
Dated: June 6, 2018.
YETTER COLEMAN LLP
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By:
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COTA COLE & HUBER LLP
2261 LAVA RIDGE COURT
ROSEVILLE, CALIFORNIA 95661
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/s/ R. Paul Yetter
R. Paul Yetter, Esq. (pro hac vice)
G. David Robertson, Esq.
ROBERTSON, JOHNSON, MILLER &
WILLIAMSON
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13
Attorneys for Plaintiffs
HARDESTY
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15 Dated: June 6, 2018.
COLANTUONO, HIGHSMITH & WHATLEY, PC
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By:
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/s/ Michael G. Colantuono
Michael G. Colantuono
Attorneys for Defendants
ROGER DICKINSON, JEFF GAMEL, and
ROBERT SHERRY
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IT IS SO ORDERED.
22 DATED: June 13, 2018.
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24
UNITED STATES DISTRICT JUDGE
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Case No. 2:10-cv-02414-KJM-KJN
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FURTHER STIPULATION AND ORDER RE PLAINTIFFS' MOTIONS FOR ATTORNEY FEES AND COSTS
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