Italian Colors Restaurant, et al. v. Harris
Filing
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STIPULATION and ORDER signed by District Judge Morrison C. England, Jr., on 2/6/18, ORDERING that the deadline for Plaintiffs' motion for attorneys' fees, related nontaxable expenses, or costs in this action is EXTENDED by 30 days to not later than 3/4/2018. (Kastilahn, A)
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IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF CALIFORNIA
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ITALIAN COLORS RESTAURANT,
ALAN CARLSON, STONECREST GAS &
WASH, SALAM RAZUKI,
LAURELWOOD CLEANERS, LLC,
JONATHAN EBRAHIMIAN, LEON’S
TRANSMISSION SERVICE, INC.,
VINCENT ARCHER, FAMILY LIFE
CORPORATION d/b/a FAMILY
GRAPHICS, TOSHIO CHINO,
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Plaintiffs,
v.
Case No.: 2:14-cv-00604-MCE-DAD
STIPULATION TO EXTENSION OF
TIME FOR ATTORNEYS’ FEES,
EXPENSES, AND COSTS; ORDER
Date:
Time:
Courtroom:
N/A
N/A
7, 14th Floor
Hon. Morrison C. England, Jr.
KAMALA D. HARRIS, in her official
capacity as Attorney General of the State of
California,
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Defendant.
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The parties hereby jointly request a 30-day extension, from February 2, 2018 to March
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4, 2018, of the deadline to file any application concerning attorneys’ fees, related nontaxable
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expenses, or costs.
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The parties previously stipulated on May 6, 2015, that any motion by any party for
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attorneys’ fees, related nontaxable expenses, or costs in this action be filed within 30 days of the
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judgment of the United States Court of Appeals for the Ninth Circuit, the dismissal of the
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appeal for any reason, or the final judgment of this Court on remand, whichever is later. The
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Court granted that request on May 11, 2015.
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Case No.: 2:14-cv-00604
STIPULATION TO EXTENSION OF TIME FOR ATTORNEYS’S FEES, EXPENSES AND COSTS
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The parties believe that the extension requested here will allow them to discuss
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settlement of the remaining attorneys’ fees issues and thereby possibly avoid unnecessary further
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litigation. In addition, additional time is necessary because of the complexity of the litigation,
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and because plaintiffs’ counsel have had, and will have an unusual number of competing
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litigation obligations this month and in the coming month.
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Dated: January 31, 2018
STIPULATED AND AGREED:
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/s/ Deepak Gupta
Deepak Gupta*
Jonathan E. Taylor
GUPTA WESSLER PLLC
1900 L Street, NW, Suite 312
Washington, DC 20036
Telephone: (202) 888-1741
Facsimile: (202) 888-7792
deepak@guptawessler.com
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Edward S. Zusman (SBN 154366)
Kevin K. Eng (SBN 209036)
MARKUN ZUSMAN FRENIERE
COMPTON LLP
465 California Street, Suite 500
San Francisco, CA 94104
Telephone: (415) 438-4515
Facsimile: (415) 434-4505
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Gary B. Friedman*
Tracey Kitzman
Rebecca Quinn
FRIEDMAN LAW GROUP LLP
270 Lafayette Street
New York, NY 10012
(212) 680-5150
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Howard M. Jaffe
JAFFE + MARTIN
1801 Century Park East
Suite 1600
Los Angeles, CA 90067
(310) 226-7770
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Alex M. Tomasevic
NICHOLAS & TOMASEVIC LLP
225 Broadway - 19th Floor
San Diego, CA 92101
(619) 325-0492
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Case No.: 2:14-cv-00604
STIPULATION TO EXTENSION OF TIME FOR ATTORNEYS’S FEES, EXPENSES AND COSTS
Robert W. Cohen
LAW OFFICES OF ROBERT W.
COHEN
1875 Century Park East, Suite 1770
Los Angeles, CA 90067
Telephone: (310) 282-7586
Facsimile: (310) 282-7589
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*admitted pro hac vice
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Attorneys for Plaintiffs
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/s/ John Killeen
Xavier Becerra
Attorney General of California
John Killeen
Deputy Attorney General
Anthony R. Hakl
Deputy Attorney General
1300 I Street, Suite 125
P.O. Box 944255
Sacramento, CA 94244-2550
(916) 322 9041
anthony.hakl@doj.ca.gov
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Attorneys for Defendant
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Case No.: 2:14-cv-00604
STIPULATION TO EXTENSION OF TIME FOR ATTORNEYS’S FEES, EXPENSES AND COSTS
ORDER
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Pursuant to the parties’ stipulation and Federal Rule of Civil Procedure 54, the deadline
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for Plaintiffs’ motion for attorneys’ fees, related nontaxable expenses, or costs in this action is
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hereby extended by 30 days to not later than March 4, 2018.
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IT IS SO ORDERED.
Dated: February 6, 2018
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Case No.: 2:14-cv-00604
STIPULATION TO EXTENSION OF TIME FOR ATTORNEYS’S FEES, EXPENSES AND COSTS
CERTIFICATE OF SERVICE
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I certify that I filed a copy of the foregoing stipulation and proposed order via the Court’s
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CM/ECF system on January 31, 2018, which will automatically serve a copy on counsel for the
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defendants.
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Dated: January 31, 2018
/s/ Kevin Eng
Kevin Eng
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Case No.: 2:14-cv-00604
STIPULATION TO EXTENSION OF TIME FOR ATTORNEYS’S FEES, EXPENSES AND COSTS
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