Wade v. Chao et al
Filing
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STIPULATION and ORDER signed by Magistrate Judge Allison Claire on 3/13/17 ORDERING that Defendants' time to respond to the First Amended Complaint is EXTENDED to 4/10/2017. (Mena-Sanchez, L)
1 PHILLIP A. TALBERT
United States Attorney
2 BOBBIE J. MONTOYA
Assistant United States Attorney
3 501 I Street, Suite 10-100
Sacramento, CA 95814
4 Telephone: (916) 554-2775
5 Attorneys for United States of America
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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E. K. WADE,
Case No. 2:17-CV-00004-TLN-AC
Plaintiff,
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v.
STIPULATION FOR EXTENSION OF TIME
FOR DEFENDANTS TO RESPOND TO THE
COMPLAINT; [proposed] ORDER
ELAINE CHAO (former Secretary), WOODY
GILLILAND (FORMER Regional Director),
DOUG BETTEN (HR Director), WILLIAM
SMITHERMAN (Deputy Regional Director),
WILLIAM DOYLE (Deputy Director), BOB
ROUSE (DOL Security), PAUL CARDENAS
(Acting RA-OASAM), ALICE YOUNG
(Acting District Director), CHARLES JAMES
(Deputy Assistant Secretary), SARAH
NELSON (Acting District Director), ROZ
ITELSON (RLRO), BONNIE CORLEY
(Acting District Director), LOURDES
DEVIGAL (HR Specialist), DAWN
BREWSTER (HR Specialist), MONICA
BEARY (HR Specialist), PAUL CARDENAS
(Acting RA-OASAM), MARITA JANIGA
(OIG), ALFREDO NODAL (Special Agent in
Charge), and DOES 1-100, in their Individual
Capacities; and the United States
RICHARD (DOE), DONOVAN (DOE), and
DOES 1-25 in their Individual Capacities; and
the United States,
Defendants.
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Stipulation for Extension of Time for Defendants to Respond
to the Complaint; [Proposed] Order
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Plaintiff E. K. Wade, in pro se, and the United States of America, through its undersigned
2 attorneys,1 hereby agree and STIPULATE that:
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1. On January 9, 2017, the United States Attorney’s Office received process for the above-
4 captioned civil action. Pursuant to Rule 12(a) of the Federal Rules of Civil Procedure, defendants’
5 responsive pleading is due March 10, 2017.
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2. The parties to this stipulation agree, subject to the Court’s approval, that defendants, to the
7 extent they have been properly served with process, shall have a 30-day extension within which to file
8 their responsive pleading, to wit, on or before April 10, 2017.
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3. This is defendants’ first extension of time to respond to the complaint.
IT IS SO STIPULATED.
11 DATED: 3/10/17
/s/ E. K. Wade
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E. K. WADE
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Plaintiff, In Pro Se
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DATED: 3/10/17
PHILLIP A. TALBERT
United States Attorney
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/s/ Bobbie J. Montoya
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BOBBIE J. MONTOYA
Assistant United States Attorney
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Attorneys for United States of America
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The undersigned counsel is making a special appearance on behalf of defendants, and by so
appearing does not waive personal jurisdiction, the service of process requirements of Rule 4(i) of the
28 Federal Rules of Civil Procedure, or any other defenses available to federal defendants in this action.
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Stipulation for Extension of Time for Defendants to Respond
to the Complaint; [Proposed] Order
ORDER
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Pursuant to the foregoing stipulation between the parties, defendants time to respond to the First
3 Amended Complaint is extended to April 10, 2017.
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IT IS SO ORDERED.
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6 DATED: March 13, 2017
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Stipulation for Extension of Time for Defendants to Respond
to the Complaint; [Proposed] Order
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