Cupp v. Harris, et al
Filing
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STIPULATION and ORDER signed by District Judge Troy L. Nunley on 9/15/16 ORDERING Defendants response to Second Amended Complaint is due by 9/30/2016.(Washington, S)
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KAMALA D. HARRIS, State Bar No. 146672
Attorney General of California
MARC A. LEFORESTIER, State Bar No. 178188
Supervising Deputy Attorney General
KEVIN A. CALIA, State Bar No. 227406
Deputy Attorney General
1300 I Street, Suite 125
P.O. Box 944255
Sacramento, CA 94244-2550
Telephone: (916) 322-6114
Fax: (916) 324-8835
E-mail: Kevin.Calia@doj.ca.gov
Attorneys for Defendant
Kamala D. Harris, in her official capacity
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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JAMES EDWARD CUPP, an individual;
LAWRENCE “WOLF” HAVEN, an
individual,
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Plaintiffs,
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Case No.: 2:16-cv-00523 TLN KJN
STIPULATION AND ORDER EXTENDING
TIME TO RESPOND TO SECOND
AMENDED COMPLAINT
vs.
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KAMALA D. HARRIS, Attorney General
of the State of California, in her official
capacity only; CITY OF CITRUS
HEIGHTS; Citrus Heights Police
Department Chief CHRISTOPHER W.
BOYD, in both his individual and official
capacity; Citrus Heights Police Officer
CHIRSTIAN BAERRESEN, #371; Citrus
Heights Police Officer THOMAS
LAMB,#315; UNKNOWN CITRUS
HEIGHTS POLICE OFFICER Badge
Number 323; UNKNOWN CITRUS
HEIGHTS POLICE OFFICER who
prepared Report Number CH14-02589 on
03/26/2014; TWO UNKNOWN NAMED
PEACE OFFICERS OF THE CITRUS
HEIGHTS POLICE DEPARTMENT;
COUNTY OF SACRAMENTO; SCOTT
JONES in his official capacity as Sheriff
of County of Sacramento; Sacramento
Deputy Sheriff JESSE BRUCKER, #512;
COUNTY OF PLACER; EDWARD N.
BONNER, #181, in his official capacity as
Sheriff of Placer County; Placer County
Deputy MASON, #101
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Defendants.
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STIPULATION AND ORDER EXTENDING TIME TO
RESPOND TO SECOND AMENDED COMPLAINT
Case No. 2:16-cv-00523 TLN KJN
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WHEREAS, plaintiffs filed the Second Amended Complaint (“SAC”) on August 15, 2016
(Doc. No. 12);
WHEREAS, pursuant to the stipulation of the parties, approved by the Court on August
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12, 2016 (Doc. No. 11), the served defendants’ responses to the SAC are currently due on or
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before September 15, 2016;
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WHEREAS, counsel for the Attorney General is now scheduled to be in trial in federal
court in Los Angeles the week of September 12, 2016;
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WHEREAS, counsel for the Attorney General requested, and all parties agreed, to extend
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all of the served defendants’ time to respond to the SAC until September 30, 2016, subject to the
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Court’s approval of this stipulation;
THEREFORE, plaintiffs and the served defendants hereby stipulate, by and through their
counsel of record, that:
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The served defendants shall have until September 30, 2016, to respond to the SAC
in any manner authorized by the Federal Rules of Civil Procedure.
IT IS SO STIPULATED.
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DATE: September 9, 2016
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KAMALA D. HARRIS
Attorney General of California
MARC A. LEFORESTIER
Supervising Deputy Attorney General
__/s/ Kevin A. Calia_______________________
KEVIN A. CALIA
Deputy Attorney General
Attorneys for Defendant KAMALA D. HARRIS, in
her official capacity
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STIPULATION AND ORDER EXTENDING TIME TO
RESPOND TO SECOND AMENDED COMPLAINT
Case No. 2:16-cv-00523 TLN KJN
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DATE: September 9, 2016
CREGGER & CHALFANT LLP
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___/s/ Wendy Motooka_______________________
ROBERT L. CHALFANT
State Bar No. 203051
WENDY MOTOOKA
State Bar No. 233589
Attorneys for Defendants COUNTY OF
SACRAMENTO, SCOTT JONES, JESSE
BRUCKER
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DATE: September 9, 2016
LONGYEAR, O’DEA, & LAVRA LLP
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___/s/ John A. Lavra_______________________
JOHN A. LAVRA
State Bar No. 114533
AMANDA L. McDERMOTT
State Bar No. 253651
Attorneys for CITY OF CITRUS HEIGHTS,
CHRISTOPHER BOYD
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DATE: September 9, 2016
PLACER COUNTY COUNSEL’S OFFICE
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___/s/ David K. Huskey______________________
DAVID K. HUSKEY
State Bar No. 109329
Attorneys for COUNTY OF PLACER, SHERIFF
EDWARD N. BONNER, DEPUTY MASON,
DEPUTY HINTZ
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DATE: September 9, 2016
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LAW OFFICES OF GARY W. GORSKI
___/s/ Gary W. Gorski_______________________
GARY W. GORSKI
State Bar No. 166526
Attorneys for Plaintiffs JAMES EDWARD CUPP
and LAWRENCE “WOLF” HAVEN
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STIPULATION AND ORDER EXTENDING TIME TO
RESPOND TO SECOND AMENDED COMPLAINT
Case No. 2:16-cv-00523 TLN KJN
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ORDER
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After considering the Stipulation by and between the parties through their counsel of
records, IT IS HEREBY ORDERED THAT:
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Defendants shall have until September 30, 2016, to respond to the Second
Amended Complaint in any manner authorized by the Federal Rules of Civil Procedure.
IT IS SO ORDERED.
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Dated: September 15, 2016
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Troy L. Nunley
United States District Judge
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STIPULATION AND ORDER EXTENDING TIME TO
RESPOND TO SECOND AMENDED COMPLAINT
Case No. 2:16-cv-00523 TLN KJN
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