Stewart v. County of Amador
Filing
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STIPULATION and ORDER signed by Magistrate Judge Edmund F. Brennan on 6/21/17 ORDERING that the Settlement Conference scheduled for 6/29/17 is CONTINUED to set for 9/14/2017. The deadline to submit settlement statements and file notices of submission is re-set to seven calendar days prior to the new settlement conference date. (Mena-Sanchez, L)
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Morin I. Jacob, Bar No. 204598
mjacob@lcwlegal.com
Richard C. Bolanos, Bar No. 111343
rbolanos@lcwlegal.com
Lisa S. Charbonneau, Bar No. 245906
lcharbonneau@lcwlegal.com
LIEBERT CASSIDY WHITMORE
A Professional Law Corporation
135 Main Street, 7th Floor
San Francisco, California 94105
Telephone:
415.512.3000
Facsimile:
415.856.0306
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Attorneys for Defendant
COUNTY OF AMADOR
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David E. Mastagni, Bar No. 204244
davidm@mastagni.com
Isaac S. Stevens, Bar No. 251245
istevens@mastagni.com
Ace T. Tate, Bar No. 262015
atate@mastagni.com
MASTAGNI HOLSTEDT
A Professional Corporation
1912 “I” Street
Sacramento, California 95811
Telephone: 916.446.4692
Facsimile: 916.447.4624
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Attorneys for Plaintiffs CLINT STEWART, et al.
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Liebert Cassidy Whitmore
A Professional Law Corporation
135 Main Street, 7th Floor
San Francisco, California 94105
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA - SACRAMENTO
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CLINT STEWART, on behalf of himself
and all similarly situated individuals,
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Case No.: 2:16-cv-02410-WBS-AC
Complaint Filed: October 10, 2016
Plaintiffs,
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STIPULATION AND [PROPOSED] ORDER
TO CONTINUE SETTLEMENT
CONFERENCE
v.
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COUNTY OF AMADOR,
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Defendant.
Trial Date:
Final Pretrial Conf.:
December 11, 2018
October 9, 2018
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After conferring with Magistrate Judge Brennan’s Courtroom Deputy on the Court’s
availability, the Parties to the above-captioned matter hereby agree and request that this Court
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Error! Unknown document property name.
STIPULATION AND [PROPOSED] ORDER TO CONTINUE SETTLEMENT CONFERENCE
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continue the settlement conference currently scheduled for June 29, 2017 to September 14, 2017,
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or other date convenient to Magistrate Judge Brennan, in order to allow the Parties additional
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time to negotiate and finalize settlement without the need for the Court’s time.
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IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
Dated: June 20, 2017
LIEBERT CASSIDY WHITMORE
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By:
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Liebert Cassidy Whitmore
A Professional Law Corporation
135 Main Street, 7th Floor
San Francisco, California 94105
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Dated: June 20, 2017
/s/ Morin I. Jacob
Morin I. Jacob
Richard C. Bolanos
Lisa S. Charbonneau
Attorneys for Defendant
COUNTY OF AMADOR
MASTAGNI HOLSTEDT
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By:
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/s/ David E. Mastagni
David E. Mastagni
Isaac S. Stevens
Ace T. Tate
Attorneys for Plaintiff CLINT STEWART
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[PROPOSED] ORDER
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IT IS HEREBY ORDERED, based on the Parties’ stipulation and for good cause shown,
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that:
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1.
The settlement conference scheduled for June 29, 2017 is continued to September 14,
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2017.
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2.
The deadline to submit settlement statements and file notices of submission is re-set to
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seven calendar days prior to the new settlement conference date.
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IT IS SO ORDERED
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DATED: June 21, 2017.
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Error! Unknown document property name.
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STIPULATION AND [PROPOSED] ORDER TO CONTINUE SETTLEMENT CONFERENCE
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