Rose, et al v. County of Sacramento, et al

Filing 198

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 9/26/2018 EXTENDING the deadline to file a Motion for Attorney Fees to 10/31/2018. (Becknal, R)

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1 LAW OFFICE OF DALE K. GALIPO DALE K. GALIPO, SBN 144074 MELANIE T. PARTOW, SBN 254843 21800 Burbank Blvd., Suite 310 Woodland Hills, CA 91367 Telephone: (818) 347-3333 Facsimile: (818) 347-4118 LONGYEAR, O’DEA & LAVRA, LLP VAN LONGYEAR, CSB No. 84189 3620 American River Drive, Suite 230 Sacramento, CA 95864 Phone: (916) 974-8500 Facsimile: (916) 974-8510 LAW OFFICE OF STEWART KATZ STEWART KATZ, SBN 127425 555 University Avenue, Suite 270 Sacramento, California 95825 Telephone: (916) 444-5678 HORVITZ & LEVY LLP DANIEL J. GONZALEZ, CSB 73623 3601 West Olive Avenue, 8th Floor Burbank, California 91505-4681 (818) 995-0800 • FAX: (844) 497-6592 Attorneys for Defendants 12 MOSELEY COLLINS LAW A Professional Law Corporation MOSELEY C. COLLINS, III, SBN 92460 1180 Iron Point Rd., Suite 180 Folsom, CA 95630 Telephone: (916) 444-4444 13 Attorneys for Plaintiffs 2 3 4 5 6 7 8 9 10 11 14 UNITED STATES DISTRICT COURT 15 EASTERN DISTRICT OF CALIFORNIA 16 17 Estate of JOHNATHAN ROSE, deceased, by and through his parents THEODORE MILTON ROSE and KAREN ROSE, as successors in interest; THEODORE MILTON ROSE, Individually; and KAREN ROSE, individually. 18 19 20 NO. 2:13-CV-01339-TLN-EFB STIPULATION AND ORDER EXTENDING THE DEADLINE TO FILE A MOTION FOR ATTORNEY FEES Plaintiffs, 21 vs. 22 23 COUNTY OF SACRAMENTO and Sacramento County Sheriff’s Department Deputy DAVID McENTIRE (Badge #1356), 24 25 Defendants. _________________________________ 26 27 /// 28 STIPULATION AND ORDER EXTENDING THE DEADLINE TO FILE A MOTION FOR ATTORNEY FEES 1 1 2 This Stipulation and Proposed Order is to supersede the Stipulation and Order that is Docket No. 196 regarding the date by which a motion for attorney fees must be filed. 3 Plaintiffs, Estate of Johnathan Rose, by and through his parents Theodore Milton 4 Rose and Karen Rose, as successors in interest, Theodore Milton Rose, individually, and 5 Karen Rose, individually, are represented by Stewart Katz of the Law Office of Stewart 6 Katz, Moseley C. Collins, III of the Law Office of Moseley C. Collins, III and Dale K. 7 Galipo of the Law Office of Dale K. Galipo. Defendants County of Sacramento and David 8 McEntire (“Defendants”) are represented by Van Longyear of Longyear, O’Dea & Lavra, 9 LLP and Daniel J. Gonzalez of Horvitz & Levy LLP. 10 11 The parties stipulate that any motion for attorney fees shall be filed on or before October 31, 2018. 12 The purpose of this stipulation is to facilitate the continuing discussions between 13 the parties regarding the resolution of all issues in this case, notwithstanding the notices of 14 appeal which have been filed. The parties have made some progress towards resolution but 15 it has been a slow process. The parties believe that this stipulation increases the likelihood 16 of a negotiated resolution being reached. 17 18 Dated: September 24, 2018 LAW OFICE OF STEWART KATZ /s/ Stewart Katz STEWART KATZ Attorney for Plaintiffs 19 20 21 22 Dated: September 24, 2018 LONGYEAR, O’DEA & LAVRA, LLP /s/ Van Longyear VAN LONGYEAR Attorneys for Defendants 23 24 25 /// 26 /// 27 /// 28 /// STIPULATION AND ORDER EXTENDING THE DEADLINE TO FILE A MOTION FOR ATTORNEY FEES 2 1 2 ORDER IT IS SO ORDERED. 3 4 5 Dated: September 26, 2018 6 7 8 Troy L. Nunley United States District Judge 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER EXTENDING THE DEADLINE TO FILE A MOTION FOR ATTORNEY FEES 3

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