Carolina Casualty Insurance Company v. Oahu Air Conditioning Service, Inc. et al

Filing 33

STIPULATION and ORDER signed by Senior Judge William B. Shubb on 3/12/2014 ORDERING 32 that Defendants Oahu Air Condition Service, Inc. and Pacific Commercial Services, LLC. request to file a cross-claim is EXTENDED to 4/8/2014.(Reader, L)

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1 2 3 4 5 6 7 8 NOEL EDLIN, ESQ. (SBN 107796) nedlin@behblaw.com FARHEENA A. HABIB, ESQ. (SBN 243405) fhabib@behblaw.com PAGE PERRY, ESQ. (SBN 246266) pperry@behblaw.com BASSI, EDLIN, HUIE & BLUM LLP 500 Washington Street, Suite 700 San Francisco, CA 94111 Telephone: (415) 397-9006 Facsimile: (415) 397-1339 Attorneys for Defendant OAHU AIR CONDITIONING SERVICE, INC. 9 UNITED STATES DISTRICT COURT 10 EASTERN DISTRICT OF CALIFORNIA 11 12 13 14 15 16 17 18 19 20 CAROLINA CASUALTY INSURANCE COMPANY, ) ) ) Plaintiffs, ) ) vs. ) ) OAHU AIR CONDITIONING SERVICE, ) INC. dba OAHU AIR CONDITIONING CO., ) PACIFIC COMMERICAL SERVICES, LLC., ) MATSON NAVIGATION COMPANY, INC., ) and DOES 1 through 100, ) ) Defendants. ) ) ) ) Case No. 2:13-cv-01378-WBS-AC Hon. William B. Shubb STIPULATION BETWEEN OAHU AIR CONDITIONING SERVICE, INC. AND PACIFIC COMMERCIAL SERVICES, LLC TO EXTEND TIME TO FILE CROSS-CLAIMS AND [PROPOSED] ORDER THERETO First Amended Complaint Filed: November 1, 2013 21 22 WHEREAS, the current deadline for Defendants OAHU AIR CONDITIONING 23 SERVICE, INC. and PACIFIC COMMERCIAL SERVICES, LLC (collectively “the Parties”) to 24 file cross-claims in this action is March 11, 2014; 25 WHEREAS, the Parties are still meeting and conferring and require additional time to 26 determine whether they intend to bring such cross-claims in this case, whether they will enter 27 into a standstill agreement on the issue, and other issues therein; 28 817079 1 STIPULATION BETWEEN OAHU AIR CONDITIONING SERVICE, INC. AND PACIFIC COMMERCIAL SERVICES, LLC TO EXTEND T IME TO FILE CROSS-CLAIMS AND [PROPOSED} ORDER THERETO 1 WHEREAS, the Parties have agreed to a 28-day extension of time, up to and including 2 April 8, 2014, to file any cross-claims they may have against each other so they may continue to 3 make their determinations in an effort to reduce the burden of any potential cross-claims on the 4 Court and the Parties. 5 STIPULATION 6 7 IT IS HEREBY STIPULATED, by the Parties herein, by and through their attorneys of record, as follows: 8 9 10 Pursuant to Local Rule 144(a), Defendants OAHU AIR CONDITIONING SERVICE, INC. and PACIFIC COMMERCIAL SERVICES, LLC hereby stipulate to extend the deadline for the Parties to file any applicable cross-claims an additional 28 days to April 8, 2014. 11 12 Date: March 11, 2014 BASSI, EDLIN, HUIE & BLUM LLP 13 14 By: /s/ Farheena A. Habib 15 FARHEENA A. HABIB Attorneys for Defendant OAHU AIR CONDITIONING SERVICE, INC 16 17 18 Date: March 11, 2014 DONGELL LAWRENCE FINNEY, LLP 19 20 21 By: /s/ Christopher T. Johnson 22 CHRISTOPHER T. JOHNSON Attorneys for Defendant PACIFIC COMMERCIAL SERVICES, LLC 23 24 25 26 27 28 817079 2 STIPULATION BETWEEN OAHU AIR CONDITIONING SERVICE, INC. AND PACIFIC COMMERCIAL SERVICES, LLC TO EXTEND T IME TO FILE CROSS-CLAIMS AND [PROPOSED} ORDER THERETO 1 2 ORDER 3 4 The deadline for Defendants OAHU AIR CONDITION SERVICE, INC. and PACIFIC COMMERICAL SERVICES, LLC to file cross-claims is extended to April 8, 2014. 5 6 IT IS SO ORDERED. 7 8 Dated: March 12, 2014 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 817079 3 STIPULATION BETWEEN OAHU AIR CONDITIONING SERVICE, INC. AND PACIFIC COMMERCIAL SERVICES, LLC TO EXTEND T IME TO FILE CROSS-CLAIMS AND [PROPOSED} ORDER THERETO

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