The Prudential Insurance Company of America v. Morgan et al

Filing 19

STIPULATION and ORDER 18 for extension of time signed by Chief Judge Morrison C. England, Jr. on 9/12/2013. Parties shall file their Joint Case Management Statement with Court by 9/30/2013. (Marciel, M)

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M ILLER L AW G ROUP A P R O F E S S I O N A L C O R P O R A T IO N C A L I FO R N I A Katherine L. Kettler (SBN 231586) 1 klk@millerlawgroup.com MILLER LAW GROUP 2 A Professional Corporation 3 111 Sutter Street, Suite 700 San Francisco, CA 94104 4 Tel. (415) 464-4300 Fax (415) 464-4336 5 Attorneys for Plaintiff 6 THE PRUDENTIAL INSURANCE COMPANY OF AMERICA 7 CANDICE L. FIELDS (SBN 172174) 8 CANDICE FIELDS LAW cfields@candicefieldslaw.com 9 455 Capitol Mall, Suite 350 Sacramento, California 95814 10 Telephone: (916) 414-8050 Facsimile: (916) 790-9450 11 12 Attorneys for Defendant INGERLISHA MARTINEZ, as mother 13 and next friend of the minor child A.M. 14 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA SACRAMENTO DIVISION 15 16 17 Case No.: Case 2:13-cv-00820-MCE-AC THE PRUDENTIAL INSURANCE COMPANY 18 OF AMERICA, 19 20 21 Plaintiff, STIPULATION AND ORDER TO EXTEND TIME FOR PARTIES TO FILE JOINT CASE MANAGEMENT STATEMENT v. A.M, a minor; D.P., a minor; ANDREA 22 MORGAN in her personal capacity; 23 INGERLISHA MARTINEZ, as mother and next friend of the minor child A.M.; and ANDREA 24 MORGAN, in her capacity as mother and next friend of the minor child D.P.; 25 Defendants. 26 Complaint Filed: April 26, 2013 27 28 Pursuant to United States District Court for the Eastern District of California 1 1 Local Rule 144(d), Plaintiff THE PRUDENTIAL INSURANCE COMPANY OF AMERICA 2 (“Plaintiff”), by and through its undersigned attorneys, Defendant INGERLISHA MARTINEZ, 3 as mother and next friend of the minor child A.M. (“Martinez”), by and through her 4 undersigned attorneys, and Defendant ANDREA MORGAN (“Morgan”) on her own behalf 5 and on behalf of D.P. hereby stipulate as follows: 6 7 WHEREAS, on April 26, 2013 Plaintiff filed an Interpleader Complaint. 8 WHEREAS, on August 6, 2013, Plaintiff served the Interpleader Complaint on 9 Defendant Morgan and D.P. such that the deadline for Morgan and D.P. to file a responsive 10 pleading was August 27, 2013. M ILLER L AW G ROUP A P R O F E S S I O N A L C O R P O R A T IO N C A L I FO R N I A 11 WHEREAS, Morgan for herself, and on behalf of D.P., required additional time 12 to secure counsel. 13 WHEREAS, the parties have met and conferred and agree that Morgan and 14 D.P’s time to respond to Plaintiff’s Interpleader Complaint shall be extended by twenty-eight 15 days, up to and including September 24, 2013, and filed a Stipulation with the Court on 16 August 28, 2013 reflecting that stipulated extension of time. (Docket #17) 17 WHEREAS, the parties’ Joint Case Management Statement is due to be filed 18 with the Court on August 30, 2013. 19 WHEREAS, the parties have met and conferred regarding extending the time 20 to file their Joint Case Management Statement in order to permit Morgan and D.P. to appear 21 in the action before the Statement is filed, and agreed that it would be most efficient if the 22 due date for filing the parties’ Joint Case Management Statement is extended so that the 23 Statement can be submitted to the Court on behalf of all the parties to this action, including 24 Morgan and D.P. 25 26 IT IS HEREBY AGREED, by and between the parties, that the due date for 27 filing the parties’ Joint Case Management Statement with the Court will be extended to 28 September 30, 2013, in order to permit all parties to appear prior to the filing of the 2 1 Statement. 2 3 Dated: August 30, 2013 MILLER LAW GROUP A Professional Corporation 4 By: /s/ Katherine L. Kettler Katherine L. Kettler Attorneys for Plaintiff THE PRUDENTIAL INSURANCE COMPANY OF AMERICA By: 5 /s/ Andrea Morgan Andrea Morgan In Pro Per "/s/ Andrea Morgan (original signature retained by attorney Katherine Kettler)." 6 7 8 Dated: August 30, 2013 9 10 M ILLER L AW G ROUP A P R O F E S S I O N A L C O R P O R A T IO N C A L I FO R N I A 11 12 CANDICE FIELDS LAW Dated: August 30, 2013 13 By: 14 15 16 17 ORDER 18 19 IT IS SO ORDERED. 20 Dated: September 12, 2013 21 22 23 24 25 26 27 28 3 /s/ Candice Fields Candice L. Fields Attorney for Defendant INGERLISHA MARTINEZ and A.M.

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