In Re: Zacky Farms, LLC

Filing 7

STIPULATION and ORDER signed by Judge John A. Mendez on 7/3/13 ORDERING that Appellant's brief shall be due on 7/29/13. The appellee's opening brief shall be due within fourteen (14) days after service of Appellants' opening brief. Once all briefs have been submitted, the Appellants are to notify the court in writing, within fourteen (14) days after service of Appellants' reply brief, that the appeal is ready for oral argument. (Mena-Sanchez, L)

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1 Joseph M. Marchini #082427 Carl R. Refuerzo #106253 2 Peter G. Fashing #195756 BAKER MANOCK & JENSEN, PC 3 5260 North Palm Avenue, Fourth Floor Fresno, California 93704 4 Telephone: 559.432.5400 Facsimile: 559.432.5620 5 Email: jmarchini@bakermanock.com Email: crefuerzo@bakermanock.com 6 Attorneys for Richard Zacky, individually and in his capacity as trustee of the 7 Richard N. Zacky Irrevocable Trust dated 11/25/07, the Survivor's Trust of Albert and Beverly Zacky Trust Dated 8 2/10/88, and the Barbara Jean Zacky Irrevocable Trust Dated 12/30/06, and ZF Enterprises, LLC, 9 Mark Gorton #99312 10 BOUTIN JONES, INC. 555 Capitol Mall, Suite 1500 11 Sacramento, CA 95814 Telephone: (916) 321-4444 12 Facsimile: (916) 441-7597 Email: mgorton@boutinjones.com 13 Attorneys for Creditor Integrated Grain & Milling, Inc. 14 Thomas H. Armstrong #146016 15 THE LAW OFFICES OF THOMAS H. ARMSTRONG 5250 N. Palm Avenue, Suite 224 16 Fresno, CA 93704 Telephone: (559) 447-4700 17 Facsimile: (559) 449-2693 Email: lawoffices5250@sbcglobal.net 18 Attorneys for Big Feather Ranch, LLC, Lucky Wishbone Ranch, LLC and 19 American Huntsman, LLC 20 UNITED STATES DISTRICT COURT 21 EASTERN DISTRICT OF CALIFORNIA 22 In re CASE No. 2:13-CV-00455 23 ZACKY FARMS, LLC, Bankruptcy Court Case No. 12-37961 24 Debtor, 25 RICHARD ZACKY, ET AL., 26 FURTHER STIPULATION TO ENLARGE TIME TO FILE APPELLANTS' OPENING BRIEF; ORDER Appellants. 27 28 1318875v2 / 18027.0004 FURTHER STIPULATION TO ENLARGE TIME TO FILE APPELLANTS' OPENING BRIEF; and [PROPOSED] ORDER 1 This Further Stipulation to Enlarge Time to File Appellants' Opening Brief 2 ("Stipulation") is entered into by and between appellants Richard Zacky (individually and in his 3 capacity as trustee of the Richard N. Zacky Irrevocable Trust dated 11/25/07, the Survivor's Trust 4 of Albert and Beverly Zacky Trust Dated 2/10/88, and the Barbara Jean Zacky Irrevocable Trust 5 Dated 12/30/06), ZF Enterprises, LLC, Integrated Grain & Milling, Inc., American Huntsman, 6 LLC, Big Feather Ranch, LLC, and Lucky Wishbone Ranch, LLC (collectively, "Appellants"), the 7 Official Committee of Unsecured Creditors ("Creditors' Committee"), and Zacky Farms, LLC 8 ("Debtor"), by and through their respective attorneys of record. 9 RECITALS 10 A. On May 9, 2013, the Clerk of Court for the United States District Court, 11 Eastern District of California ("District Court") filed its Briefing Schedule in Bankruptcy Appeal 12 ("Briefing Schedule"). A previous Stipulation to Enlarge Time to File Appellants' Opening Brief 13 was timely filed by the parties to this Stipulation on May 22, 2013. The Court granted the 14 Stipulation on May 23, 2013, and ordered that Appellants' opening brief be filed by July 8, 2013. 15 B. As previously reported to the Court, Appellants, the Creditors' Committee 16 and the Debtor (collectively, "Parties") have reached a tentative settlement of this matter. Since 17 the filing of the previous Stipulation, a change in management has occurred at Integrated Grain & 18 Milling, Inc. ("IGM"). IGM's new management needs additional time to evaluate the tentative 19 settlement. The Parties continue to believe that a final settlement will be forthcoming at which 20 time a suitable, written settlement agreement among the Parties will be finalized, and the Parties 21 will seek U.S. Bankruptcy Court approval of the settlement. Upon approval by the U.S. 22 Bankruptcy Court, Appellants will dismiss the appeal. 23 C. The Parties desire to further enlarge the time within which Appellants may 24 file their opening brief. As with the prior enlargement, the requested enlargement will serve to 25 avoid unnecessary expense and effort on the part of the Parties in prosecuting and defending the 26 appeal, and the unnecessary expenditure of judicial resources in hearing and deciding the Appeal 27 /// 28 1318875v2 / 18027.0004 2 FURTHER STIPULATION TO ENLARGE TIME TO FILE APPELLANTS' OPENING BRIEF; and [PROPOSED] ORDER 1 in the event a final settlement is approved by the U.S. Bankruptcy Court. Accordingly, the Parties 2 have entered into this further Stipulation. 3 D. The Committee is willing to stipulate to Appellants' request for a further 4 enlargement of time within which to file Appellant's opening brief but the Committee does not 5 stipulate to other assertions made in this Stipulation. 6 STIPULATION 7 IT IS HEREBY STIPULATED as follows: 8 1. The Parties fully incorporate herein the Recitals set forth above. 9 2. The Parties acknowledge that Federal Rules of Bankruptcy Procedure, Rule 10 9006(b)(1) provides, in relevant part: 11 …[W]hen an act is required or allowed to be done at or within a specified period by these rules or by a notice given thereunder or by order of court, the court for cause shown may at any time in its discretion (1) with or without motion or notice order the period enlarged if the request therefor is made before the expiration of the period originally prescribed or as extended by a previous order…. 12 13 14 15 3. The Parties acknowledge that good cause exists for a further enlargement of 16 time within which Appellants may file their opening brief . Appellants assert that a further 17 enlargement of time, as requested, will continue to allow the Parties time to finalize a settlement 18 and a suitable, written settlement agreement for presentment to the U.S. Bankruptcy Court for its 19 approval without having to incur the added and potentially unnecessary expense of prosecuting or 20 defending the appeal. Appellants assert that a further enlargement of time will also result in the 21 economical use of judicial resources in that the District Court will be able to avoid hearing and 22 deciding the appeal in the event a final settlement is approved by the U.S. Bankruptcy Court. 23 4. The Parties are requesting that the time to file Appellants' opening brief be 24 further enlarged by 21 days. 25 /// 26 /// 27 /// 28 1318875v2 / 18027.0004 3 FURTHER STIPULATION TO ENLARGE TIME TO FILE APPELLANTS' OPENING BRIEF; and [PROPOSED] ORDER 1 5. Accordingly, the Parties agree, subject to the District Court's approval, that 2 Appellants' opening brief shall be due no sooner than July 29, 2013. 3 4 DATED: July 2, 2013. BAKER MANOCK & JENSEN, PC 5 11 By: /s/ Joseph M. Marchini Joseph M. Marchini Carl R. Refuerzo Peter G. Fashing Attorneys for Richard Zacky, individually and in his capacity as trustee of the Richard N. Zacky Irrevocable Trust dated 11/25/07, the Survivor's Trust of Albert and Beverly Zacky Trust Dated 2/10/88, and the Barbara Jean Zacky Irrevocable Trust Dated 12/30/06, and ZF Enterprises, LLC, 12 DATED: July 2, 2013. BOUTIN JONES, INC. 6 7 8 9 10 13 By: /s/ Mark Gorton Mark Gorton Attorneys for Intergrated Grain & Milling, Inc. 14 15 16 DATED: July 2, 2013. 17 18 THE LAW OFFICES OF THOMAS H. ARMSTRONG By:/s/ Thomas H. Armstrong Thomas H. Armstrong Attorneys for Big Feather Ranch, LLC, Lucky Wishbone Ranch, LLC and American Huntsman, LLC 19 20 21 22 DATED: July 2, 2013. 23 FELDERSTEIN FITZGERALD WILLOUGHBY & PASCUZZI, LLP 24 By: /s/ Thomas A. Willoughby Thomas A. Willoughby Attorneys for Zacky Farms, LLC 25 26 27 28 [Signatures continued on next page] 1318875v2 / 18027.0004 4 FURTHER STIPULATION TO ENLARGE TIME TO FILE APPELLANTS' OPENING BRIEF; and [PROPOSED] ORDER 1 DATED: July 2, 2013. LOWENSTEIN SANDLER LLP 2 By: /s/ Wojciech F. Jung Wojciech F. Jung Attorneys for the Official Committee of Unsecured Creditors 3 4 5 6 ORDER 7 8 9 Having read the Stipulation of the Parties, and good cause appearing, IT IS HEREBY ORDERED: 1. Appellants' opening brief shall be due on July 29, 2013. 2. The appellee's opening brief shall be due within fourteen (14) days after 10 11 service of Appellants' opening brief. 12 3. Appellants may file a reply brief with the District Court, within fourteen 13 (14) days after service of appellee's opening brief. 14 4. Once all briefs have been submitted, the Appellants are to notify the court 15 in writing, within fourteen (14) days after service of Appellants' reply brief, that the appeal is 16 ready for oral argument. 17 DATED: 7/3/2013 18 19 /s/ John A. Mendez____________ United States District Court Judge 20 21 22 23 24 25 26 27 28 1318875v2 / 18027.0004 5 FURTHER STIPULATION TO ENLARGE TIME TO FILE APPELLANTS' OPENING BRIEF; and [PROPOSED] ORDER

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