Gonzales v. Commissioner of Social Security

Filing 27

STIPULATION and ORDER signed by Magistrate Judge Edmund F. Brennan on 01/04/12 ORDERING that defendant shall have a 30-day extension, or until 01/20/12, in which to file his Notice, Motion, and Memorandum in Support of Cross-Motion for Summary Judgment and in Opposition to plaintiff's Motion for Summary Judgment. (Benson, A.)

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1 2 3 4 5 6 7 BENJAMIN WAGNER CSBN 163581 United States Attorney DONNA L. CALVERT SBN IL 619786 Acting Regional Chief Counsel, Region IX Social Security Administration ELIZABETH BARRY CSBN 203314 Special Assistant United States Attorney 333 Market Street, Suite 1500 San Francisco, California 94105 Telephone: (415) 977-8972 Facsimile: (415) 744-0134 Email: Elizabeth.Barry@ssa.gov 8 Attorneys for Defendant 9 10 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 11 SACRAMENTO DIVISION 12 BELVA GONZALES, 13 14 15 Plaintiff, v. COMMISSIONER OF SOCIAL SECURITY, 16 Defendant. 17 ) ) ) ) ) ) ) ) ) ) ) Case No. CIV-2:10-cv-03412 EFB STIPULATION AND ORDER FOR A THIRD EXTENSION FOR DEFENDANT TO FILE NOTICE, MOTION, AND MEMORANDUM IN SUPPORT OF CROSS-MOTION FOR SUMMARY JUDGMENT AND IN OPPOSITION TO PLAINTIFF’S MOTION FOR SUMMARY JUDGMENT __________________________________ ) 18 . 19 IT IS HEREBY STIPULATED, by and between the undersigned attorneys, subject to the approval 20 of the Court, that Defendant shall have a 30-day extension, or until January 20, 2012, in which to file his 21 Notice, Motion, and Memorandum in Support of Cross-Motion for Summary Judgment and in 22 Opposition to Plaintiff’s Motion for Summary Judgment. 23 This is Defendant’s third request for an extension of time in this matter. The undersigned counsel 24 for the Defendant requires an extension as a result of a heavy briefing schedule, which includes four 25 dispositive motions due through the end of the month in the following matters, in addition to the 26 Defendant’s motion in the above-captioned matter: Battle v. Astrue, SDCA 11-829; Lopez v. Astrue, 27 EDCA 1:11-310; Marsh v. Astrue, NDCA, 3:11-2096; and Eckard v. Astrue, EDCA, 1:11-516. In 28 addition, the undersigned counsel for the Defendant has a family vacation to Chicago planned for the 1 last week of December. Defendant respectfully requests an additional 30-day period in which to 2 complete his briefing. 3 4 Respectfully submitted, Dated: December 21, 2011 5 /s/ Bess M. Brewer (as authorized via e-mail) BESS M. BREWER Attorney for Plaintiff 6 7 8 BENJAMIN WAGNER United States Attorney 9 10 Dated: December 21, 2011 11 By /s/ Elizabeth Barry ELIZABETH BARRY Special Assistant U.S. Attorney Attorneys for Defendant 12 13 14 ORDER 15 SO ORDERED. 16 DATED: January 4, 2012. 17 18 19 20 21 22 23 24 25 26 27 28 2

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