Bock et al v. County of Sutter et al
Filing
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STIPULATION and ORDER signed by Chief Judge Morrison C. England, Jr., on 7/8/14 ORDERING that the deadline to file dispositional documents is 7/24/14. (Kastilahn, A)
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A PROFESSIONAL CORPORATION
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John R. Whitefleet, SBN 213301
Lauren E. Calnero, SBN 284655
350 University Avenue, Suite 200
Sacramento, California 95825
TEL: 916.929.1481
FAX: 916.927.3706
Attorneys for Defendants COUNTY OF SUTTER; COUNTY OF YUBA; J. PAUL PARKER; LEWIS
MCELFRESH; NORMAN BIDWELL; JOHN S. ZIL; CHRISTOPHER BARNETT; BOBBY JOE
LITTLE; DAVID CALAPINI; SHAUN FLIEHMAN; RAINBOW CRANE; KATY MULLIN;
DONICE MCGINNIS; and BALJINDER RAI
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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ESTATE OF RODNEY LOUIS BOCK,
deceased, by and through CYNDIE DENNY
BOCK, as Administrator; KIMBERLY BOCK;
KELLIE BOCK HILLARY BOCK; MORGEN
BOCK; LAURA LYNN BOCK; and ESTATE
OF ROBERT BOCK,
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CASE NO: 2:11-cv-00536-MCE-KJN
STIPULATION AND ORDER TO EXTEND
TIME
TO
FILE
DISPOSITIONAL
DOCUMENTS
Plaintiffs,
vs.
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COUNTY OF SUTTER; COUNTY OF
YUBA; J. PAUL PARKER, Sutter County
Sheriff’s
Department
Sheriff;
LEWIS
MCELFRESH, Sutter County Jail Division
Commander; NORMAN BIDWELL, Sutter
County Jail Corrections Lieutenant; JOHN S.
ZIL; CHRISTOPHER BARNETT; BOBBY
JOE LITTLE; DAVID CALAPINI; SHAUN
FLIEHMAN; RAINBOW CRANE; KATY
MULLIN;
DONICE
MCGINNIS;
BALJINDER RAI; and Does I through XL,
inclusive,
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Defendants.
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/
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///
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STIPULATION AND ORDER TO EXTEND TIME TO FILE DISPOSITIONAL DOCUMENTS
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Plaintiffs ESTATE OF RODNEY LOUIS BOCK, deceased, by and through CYNDIE DENNY
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BOCK, as Administrator; KIMBERLY BOCK; KELLIE BOCK HILLARY BOCK; MORGEN
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BOCK; LAURA LYNN BOCK; and ROBERT BOCK and Defendants COUNTY OF SUTTER,
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COUNTY OF YUBA, J. PAUL PARKER, LEWIS MCELFRESH, NORMAN BIDWELL, JOHN S.
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ZIL; CHRISTOPHER BARNETT; BOBBY JOE LITTLE; DAVID CALAPINI; SHAUN
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FLIEHMAN; RAINBOW CRANE; KATY MULLIN; DONICE MCGINNIS; and BALJINDER RAI
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(collectively referred to as the “Parties”) have reached a settlement in this case and have reached a
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settlement in the case. The Court ordered that dispositional documents be filed not later than forty-five
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days from May 20, 2014. See Docket No. 104.
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The Parties require additional time to file dispositional documents, to allow Defendants to
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transmit payment of the monetary settlement amount to Plaintiffs in this matter. The Parties stipulate
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and agree to a deadline of July 24, 2014 to file the dispositional documents in this case, as directed by
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the Court (Docket No. 104). This is the first stipulation and request by the Parties to extend time to file
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dispositional documents.
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Accordingly, IT IS HEREBY STIPULATED AND AGREED, by and between the Parties, by
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and through their respective undersigned counsel, that the Parties have up to and including July 24,
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2014 to file dispositional documents in this case.
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DATED: July 3, 2014
Respectfully submitted,
ROSEN, BIEN & GALVAN, LLP
By /s/ Aaron J. Fischer
Aaron J. Fischer
Attorney for Plaintiffs (as authorized on July 3, 2014)
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DATED: July 3, 2014
PORTER SCOTT
A Professional Corporation
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By /s/ John R. Whitefleet
John R. Whitefleet
Lauren E. Calnero
Attorneys for Defendants
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STIPULATION AND ORDER TO EXTEND TIME TO FILE DISPOSITIONAL DOCUMENTS
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ORDER
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Based on the foregoing and good cause appearing, the Parties’ request to extend time to file
dispositional documents is GRANTED. The deadline to file dispositional documents is July 24, 2014.
IT IS SO ORDERED.
Dated: July 8, 2014
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STIPULATION AND ORDER TO EXTEND TIME TO FILE DISPOSITIONAL DOCUMENTS
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