California Sportfishing Protection Alliance v. Sacramento Area Sewer District et al
Filing
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STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 7/27/11 ORDERING that County of Sacramento and Sacramento Area Sewer District shall file its response to Plaintiff's Complaint on or before 8/25/2011. (Mena-Sanchez, L)
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SOMACH SIMMONS & DUNN
A Professional Corporation
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SOMACH SIMMONS & DUNN
A Professional Corporation
Roberta L. Larson (SBN 191705)
Email: Rlarson@somachlaw.com
Kanwarjit S. Dua (SBN 214591)
Email: Kdua@somachlaw.com
500 Capitol Mall, Suite 1000
Sacramento, CA 95814
Telephone: (916) 446-7979
Facsimile: (916) 446-8199
EXEMPT FROM FILING FEES
PURSUANT TO GOVERNMENT CODE
SECTION 6103
Attorneys for Defendant COUNTY OF
SACRAMENTO and SACRAMENTO AREA
SEWER DISTRICT
Layne Friedrich (Bar No. 195431)
Email: Layne@lawyersforcleanwater.com
Drevet Hunt (Bar No. 240487)
Email: Drev@lawyersforcleanwater.com
LAWYERS FOR CLEAN WATER, INC.
1004-A O’Reilly Avenue
San Francisco, California 94129
Telephone: (415) 440-6520
Facsimile: (415) 440-4155
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Attorneys for Plaintiff
CALIFORNIA SPORTFISHING PROTECTION
ALLIANCE
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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CALIFORNIA SPORTFISHING PROTECTION
ALLIANCE, a non-profit corporation,
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Civil Case No.: 2:11-cv-00575 KJM-EFB
STIPULATION TO EXTEND TIME TO
RESPOND TO COMPLAINT; ORDER
Plaintiff,
v.
Civil Local Rule 143 and 144
COUNTY OF SACRAMENTO, a political
subdivision of the State of California,
SACRAMENTO AREA SEWER DISTRICT, a
county sanitation district;
Defendants.
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STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT; ORDER
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WHEREAS, the California Sportfishing Protection Alliance (CSPA) filed its complaint
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in the above – captioned case on March 1, 2011;
WHEREAS, CSPA served the summons and complaint on Defendants the County of
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Sacramento and Sacramento Area Sewer District on May 26, 2011;
WHEREAS, Defendants acknowledged receipts of the summons and complaint on May
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27, 2011;
WHEREAS, Defendants response to the complaint was initially due on or before June 17,
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2011;
SOMACH SIMMONS & DUNN
A Professional Corporation
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WHEREAS, CSPA and Defendant agreed to an initial stipulation extending the time for
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Defendants to respond to the complaint to and including July 26, 2011, which the Court granted;
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WHEREAS, although the Parties exchanged initial drafts of a proposed consent decree
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that would fully resolve this matter, Defendants assert they require additional time to develop
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programmatic elements aimed at reducing and eliminating sewer system overflows to be
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incorporated into a consent decree;
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WHEREAS, the Parties continue to believe that settlement of all claims in this matter is
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likely and that a further extension of time for Defendants to answer CSPA’s complaint is in the
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interests of judicial and the respective clients’ economy;
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THEREFORE, IT IS HEREBY STIPULATED by and between CSPA and Defendants,
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through their respective counsel of record, that Defendants shall have an additional thirty (30)
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days to and including August 25, 2011, within which to answer CSPA’s complaint.
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SOMACH SIMMONS & DUNN
A Professional Corporation
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Dated: July 22, 2011
By: /S/ Kanwarjit S. Dua
Kanwarjit S. Dua
Attorney for Defendant
COUNTY OF SACRAMENTO and
SACRAMENTO AREA SEWER DISTRICT
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STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT; ORDER
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Dated: July 22, 2011
LAWYERS FOR CLEAN WATER, INC.
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By: /S/ Drevet Hunt
Drevet Hunt
Attorney for Plaintiff
CALIFORNIA SPORTFISHING
PROTECTION ALLIANCE
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SOMACH SIMMONS & DUNN
A Professional Corporation
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STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT; ORDER
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ORDER
PURSUANT TO THE STIPULATION, County of Sacramento and Sacramento Area
Sewer District shall file its response to Plaintiff’s complaint on or before August 25, 2011.
IT IS SO ORDERED.
Dated: July 27, 2011.
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UNITED STATES DISTRICT JUDGE
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SOMACH SIMMONS & DUNN
A Professional Corporation
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STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT; ORDER
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