Tandel v. County of Sacramento, et al
Filing
204
STIPULATION and ORDER signed by District Judge Morrison C. England, Jr. on 2/2/2017 ORDERING that the deadline to file dispositional documents shall be EXTENDED to 4/3/2017. (Jackson, T)
1 GERI LYNN GREEN (SBN 127709)
LAW OFFICE OF GERI LYNN GREEN
2 4 Embarcadero Center, Suite 1400
San Francisco, California 94111
3 Tel: (415) 982-2600
Fax: (415) 358-4562
4 greenlaw700@gmail.com
gerilynngreen@gmail.com
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Attorney for Plaintiff
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LONGYEAR, O’DEA & LAVRA, LLP
7 VAN LONGYEAR, CSB NO. 84189
PETER C. ZILAFF, CSB NO. 272658
8 3620 American River Drive, Suite 230
Sacramento, California 95864-5923
9 Tel: 916-974-8500 Fax: 916 974-8510
10 Attorneys for Defendants County of Sacramento,
John McGinness, Deputy Stephanie Jacoby, Deputy Mark Medeiros
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA - SACRAMENTO DIVISION
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15 SANDIPKUMAR TANDEL,
Plaintiffs,
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v.
Case No. 2:11-CV-00353-MCE AC
STIPULATION; AND ORDER FOR
EXTENSION OF TIME TO FILE
DISMISSAL TO APRIL 3, 2017
18 COUNTY OF SACRAMENTO, et al,
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Defendants.
Plaintiff, Sandipkumar Tandel, is represented by Geri Green of the Law Office of Geri
Lynn Green. Defendants, County of Sacramento, John McGinness, Deputy Stephanie Jacoby and
Deputy Mark Medeiros are represented by Van Longyear and Peter C. Zilaff of Longyear, O’Dea
& Lavra, LLP.
The parties have met and conferred and stipulate to extending the time for filing the
dismissal in this matter. The current deadline for filing the dismissal pursuant to the Court’s
Order (ECF No. 202) is February 2, 2016. Another extension of time to file closing documents
and the dismissal is necessary due to the extended negotiations with Medicare. The parties
28 stipulate to and request an extension of sixty days.
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31 Joint Stipulation; Order
CASE NO. 2:11-CV-00353-MCE AC
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In order to complete the settlement, both sides require a final payment amount from
Medicare. Due to the rarity and lack of knowledge of Neuro Myelitis Optica, the disease which
has caused Plaintiff’s profound spinal cord damage, the agency is engaging in lengthy and
detailed reviews of information. Consequently, Plaintiff’s counsel has continued providing the
agency with information, however it is taking an inordinate amount of time to resolve this issue.
In light of time Medicare requires to respond, it is respectfully requested that the Court set the
date for the filing of disposition documents to April 3, 2017.
Accordingly, the parties, through their counsel, stipulate to and request an order extending
the deadline to file closing documents to April 3, 2017.
Dated: February 2, 2017
LAW OFFICE OF GERI LYNN GREEN
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/S/: Geri Green
GERI GREEN
Attorney for Plaintiff
Sandipkumar Tandel
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16 Dated: February 2, 2017
LONGYEAR, O’DEA & LAVRA, LLP
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/S/: Van Longyear
VAN LONGYEAR
Attorneys for Defendants,
County of Sacramento, et al.
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31 Joint Stipulation; Order
CASE NO. 2:11-CV-00353-MCE AC
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ORDER
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Pursuant to the parties’ stipulation and good cause appearing, the Court orders that the
4 deadline to file dispositional documents shall be extended to April 3, 2017.
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IT IS SO ORDERED.
6 Dated: February 2, 2017
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31 Joint Stipulation; Order
CASE NO. 2:11-CV-00353-MCE AC
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