Padilla v. Beard et al
Filing
289
ORDER signed by District Judge Kimberly J. Mueller on 7/17/2017 ORDERING The Motion for Approval of Settlement shall be filed no later than 7/25/2017.(Reader, L)
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Lori Rifkin, Esq. [S.B. # 244081]
HADSELL STORMER & RENICK LLP
4300 Horton Street, #15
Emeryville, CA 94608
Telephone: (415) 685-3591
Facsimile: (626) 577-7079
Email: lrifkin@hadsellstormer.com
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Dan Stormer, Esq. [S.B. #101967]
Caitlan McLoon, Esq. [S.B. #302798]
HADSELL STORMER & RENICK LLP
128 N. Fair Oaks Avenue
Pasadena, California 91103
Telephone: (626) 585-9600
Facsimile: (626) 577-7079
Emails: dstormer@hadsellstormer.com
cmcloon@hadsellstormer.com
Attorneys for Plaintiff
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[Additional counsel continued on next page]
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA, SACRAMENTO DIVISION
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Jermaine Padilla,
Case No.: 2:14-cv-01118-KJM-CKD
Plaintiff,
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v.
Jeffrey Beard, et al.,
Defendants.
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[Assigned to the Honorable Kimberly J. Mueller –
Courtroom 3]
JOINT STIPULATION AND REQUEST FOR
AN ADDITIONAL 30 DAYS TO FILE
MOTION FOR APPROVAL OF
SETTLEMENT; ORDER
Complaint Filed:
Trial Date:
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JOINT STIP & REQUEST FOR ADDITIONAL
30 DAYS TO FILE MTN FOR APPROVAL OF
SETTLEMENT; ORDER
May 6, 2014
April 17, 2017
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[Additional continued from previous page]
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XAVIER BECERRA, State Bar No. 118517
Attorney General of California
CHRISTOPHER J. BECKER, State Bar No. 230529
Supervising Deputy Attorney General
DIANA ESQUIVEL, State Bar No. 202954
Deputy Attorney General
1300 I Street, Suite 125
P.O. Box 944255
Sacramento, CA 94244-2550
Telephone: (916) 445-4928
Facsimile: (916) 324-5205
E-mail: Diana.Esquivel@doj.ca.gov
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Attorneys for Defendants Castro, Drew, Gipson,
Johnson, Robicheaux, Stainer, and Wagner
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JOINT STIP & REQUEST FOR ADDITIONAL
30 DAYS TO FILE MTN FOR APPROVAL OF
SETTLEMENT; ORDER
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Plaintiff JERMAINE PADILLA and Defendants JENNA CASTRO, MARK DREW, CONNIE
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GIPSON, SABRINA JOHNSON, MICHAEL ROBICHEAUX, MICHAEL STAINER, and ERNEST
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WAGNER, (hereinafter collectively referred to as “Defendants”), by and through their undersigned
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counsel of record, and subject to the approval of the court, hereby stipulate as follows:
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Whereas, the Parties reached a settlement agreement on April 25, 2017, and agreed to provide
the Court with the written settlement agreement and motion for approval within 60 days;
Whereas, Plaintiff’s counsel, Plaintiff’s Guardian ad Litem, and Plaintiff have been diligently
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working towards setting up a structure for the distribution settlement funds that protects Plaintiff’s
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interests but have not yet resolved all necessary details;
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Whereas the structure for distribution of such funds must be included in the final terms of the
settlement agreement for review and approval by the Court;
The Parties have jointly stipulated to request an additional 30 days to submit the motion for
approval of settlement agreement and settlement agreement to the Court.
Based on the foregoing, the parties respectfully request that the Court approve this stipulated
request.
IT IS SO STIPULATED.
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Dated: July 6, 2017
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Respectfully Submitted,
HADSELL STORMER & RENICK LLP
By:
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Dated: July 6, 2017
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XAVIER BECERRA
Attorney General of California
CHRISTOPHER J. BECKER
Supervising Deputy Attorney General
By:
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JOINT STIP & REQUEST FOR ADDITIONAL
30 DAYS TO FILE MTN FOR APPROVAL OF
SETTLEMENT; ORDER
/s/ - Lori Rifkin
Dan Stormer
Lori Rifkin
Caitlan McLoon
Attorneys for Plaintiff
/s/ - Diana Esquivel
DIANA ESQUIVEL
Deputy Attorney General
Attorneys for Defendants
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ORDER
The Court, having considered the parties’ above stipulation and good cause appearing, the
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Joint Stipulated Request for an Additional 30 Days to File Motion for Approval of Settlement is
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GRANTED. The Motion for Approval of Settlement shall be filed no later than July 25, 2017.
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IT IS SO ORDERED.
DATED: July 17, 2017.
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UNITED STATES DISTRICT JUDGE
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JOINT STIP & REQUEST FOR ADDITIONAL
30 DAYS TO FILE MTN FOR APPROVAL OF
SETTLEMENT; ORDER
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