Shasta Linen Supply, Inc. v. Applied Underwriters, Inc. et al

Filing 74

STIPULATION and ORDER #73 extending time for plaintiffs to file responsive pleadings with defendants' counterclaims to 12/1/2017 signed by Senior Judge William B. Shubb on 11/22/2017. (Kirksey Smith, K)

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1 2 3 John Douglas Moore (SBN 95655) LAW OFFICES OF JOHN DOUGLAS MOORE 1970 Broadway, Ste 950 Oakland, CA 94612 Telephone: (510) 893-6300 4 5 6 7 Attorneys for Plaintiffs [Additional counsel on signature page] UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 8 SACRAMENTO DIVISION 9 10 11 12 13 SHASTA LINEN SUPPLY, INC., a California corporation, et al., Plaintiffs, vs. APPLIED UNDERWRITERS INC., et al, Defendants. 14 15 16 17 18 19 20 21 PET FOOD EXPRESS LTD., et al., Plaintiffs, vs. APPLIED UNDERWRITERS INC., et al., Defendants. ) Case No. 2:16-CV-00158-WBS-AC ) ) STIPULATION EXTENDING PLAINTIFFS’ ) DEADLINE TO FILE RESPONSIVE ) PLEADINGS TO DEFENDANTS’ ) COUNTERCLAIMS AND ORDER ) THEREON ) ) ) ) ) ) ) ) Case No. 2:16-CV-01211-WBS-AC ) ) Judge William B. Shubb ) ) ) ) 22 23 24 25 26 27 28 STIPULATION EXTENDING PLAINTIFFS’ DEADLINE TO RESPOND TO DEFENDANTS’ COUNTERCLAIMS Case Nos. 2:16-CV-00158-WBS-AC; 2:16-CV-01211-WBS-AC 1 Plaintiffs SHASTA LINEN SUPPLY, INC. (“Shasta Linen”), PET FOOD EXPRESS LTD. 2 (“Pet Food”), and ALPHA POLISHING, INC. (“Alpha Polishing”) and Defendants APPLIED 3 UNDERWRITERS 4 COMPANY, INC., CALIFORNIA INSURANCE COMPANY, INC., and APPLIED RISK 5 SERVICES, INC. (“Defendants”) (collectively “the Parties”), through their counsel stipulate as 6 follows: INC., APPLIED 7 8 9 10 11 12 UNDERWRITERS CAPTIVE RISK ASSURANCE RECITALS 1. Plaintiff Shasta Linen filed its Second Amended Complaint on June 21, 2017, and Plaintiffs Pet Food and Alpha Polishing filed their First Amended Complaint on June 21, 2017. 2. Defendants filed motions to dismiss. In an October 17, 2017 order, the motions were granted in part and denied in part. 3. On November 3, 2017, Defendants filed an Answer to the Shasta Linen Second 13 Amended Complaint on, and an Answer and Counterclaim to the Pet Food Express and Alpha 14 Polishing First Amended Complaint. 15 16 17 18 19 4. Under Rule 12, Plaintiffs’ deadline to file a responsive pleading to Defendants’ counterclaim is November 24, 2017. 5. Plaintiffs have asked for one additional week to file responsive pleadings with respect to the Counterclaims. Defendants are agreeable to the extension. 6. The extension will not affect any Court ordered dates or deadlines. 20 STIPULATION 21 The Parties hereby stipulate pursuant to Civil Local Rules 137 and 143 that Plaintiffs’ 22 deadline to file responsive pleadings with respect to Defendants’ Counterclaims is extended from 23 November 3, 2017, to December 1, 2017. 24 25 26 27 28 1 STIPULATION EXTENDING PLAINTIFFS’ DEADLINE TO RESPOND TO DEFENDANTS’ COUNTERCLAIMS Case Nos. 2:16-CV-00158-WBS-AC; 2:16-CV-01211-WBS-AC 1 Dated: November 22, 2017 2 3 By: /s/ John Douglas Moore JOHN DOUGLAS MOORE Attorneys for Plaintiffs PET FOOD EXPRESS LTD. and ALPHA POLISHING, INC. 4 5 6 7 LAW OFFICES OF JOHN DOUGLAS MOORE Dated: November 22, 2017 FARMER SMITH & LANE, LLP 8 /s/ John L. Hall (as authorized on November 22, By: 2017) CRAIG E. FARMER JOHN L. HALL Attorneys for Plaintiff SHASTA LINEN SUPPLY, INC. 9 10 11 12 13 Dated: November 22, 2017 HINSHAW & CULBERTSON LLP 14 /s/ Spencer Y. Kook (as authorized on By: November 22, 2017) SPENCER Y. KOOK TRAVIS WALL Attorneys for Defendants 15 16 17 APPLIED UNDERWRITERS INC., APPLIED UNDERWRITERS CAPTIVE RISK ASSURANCE COMPANY, INC., AND CALIFORNIA INSURANCE COMPANY, INC. 18 19 20 SIGNATURE ATTESTATION 21 22 I, John Douglas Moore, am the ECF user whose identification and password are being used 23 to file this Stipulation Extending Time to Respond to Defendants’ Counterclaims. In compliance 24 with 25 26 27 28 2 STIPULATION EXTENDING PLAINTIFFS’ DEADLINE TO RESPOND TO DEFENDANTS’ COUNTERCLAIMS Case Nos. 2:16-CV-00158-WBS-AC; 2:16-CV-01211-WBS-AC 1 2 Local Rules, I hereby attest that all party signatories hereto concur in this filing. 3 4 /s/ John Douglas Moore JOHN DOUGLAS MOORE 5 6 7 8 IT IS SO ORDERED Dated: November 22, 2017 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION EXTENDING PLAINTIFFS’ DEADLINE TO RESPOND TO DEFENDANTS’ COUNTERCLAIMS Case Nos. 2:16-CV-00158-WBS-AC; 2:16-CV-01211-WBS-AC

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