Galasyn et al v. Sleight et al

Filing 17

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 12/5/2017 ORDERING defendants Douglas Shaw, Vicky Sleight and Galasyn, Inc. shall have an extension of time to 12/8/2017 to file a responsive pleading to the complaint. (Zignago, K.)

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1 2 3 4 Nicholas R. Kloeppel, SBN #186165 MITCHELL, BRISSO, DELANEY & VRIEZE, LLP Attorneys at Law 814 Seventh Street P. O. Drawer 1008 Eureka, CA 95502 Tel: (707) 443-5643 Fax: (707) 444-9586 5 6 Attorneys for Defendants DOUGLAS SHAW, VICKY SLEIGHT, GALASYN, INC. 7 8 9 10 11 12 13 14 William W. Palmer, SBN #146404 PALMER LAW GROUP, PLC 2443 Fair Oaks Blvd., No. 545 Sacramento, CA 95825 Tel: (916) 972-0761 Fax: (916) 917-5397 Attorneys for Plaintiffs EDWARD GALASYN, MARTA A. KINGSBURY in her capacity as Administrator of the Estate of Edward Galasyn 15 UNITED STATES DISTRICT COURT 16 EASTERN DISTRICT OF CALIFORNIA 17 18 19 EDWARD GALASYN, MARTA A. KINGSBURY in her capacity as Administrator of the Estate of Edward Galasyn, 20 CASE NO.: 17-CV-00363-TLN-EFB STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING RESPONSIVE PLEADING Plaintiff, 21 vs. 22 VICKY SLEIGHT, DOUGLAS SHAW, GALASYN, INC., 23 Defendants. 24 25 /// 26 MITCHELL, BRISSO, DELANEY & VRIEZE 814 Seventh Street P.O. Drawer 1008 Eureka, CA 95502 __________________________________________1_____________________________________________ STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING RESPONSIVE PLEADING 1 IT IS HEREBY STIPULATED by and between the parties, plaintiffs 2 EDWARD GALASYN, MARTA A. KINGSBURY in her capacity as Administrator of 3 the Estate of Edward Galasyn (“Plaintiffs”), and defendants DOUGLAS SHAW, 4 VICKY SLEIGHT and GALASYN, INC. (“Defendants”), through their respective 5 attorneys as follows: 6 1. Plaintiffs filed an initial Complaint on February 21, 2017. 7 2. Defendants, who were served with the initial Complaint, are currently 8 required to respond to the Complaint on or before November 28, 2017, pursuant to this 9 Court’s order filed on October 4, 2017 (ECF Docket No. 15). 10 3. The parties continue to work towards a settlement of this case and have 11 exchanged drafts of a Mutual Release and Settlement Agreement (“Settlement”). The 12 parties require additional time to finalize the Settlement and therefore stipulate to an 13 additional ten (10) days to finalize the Settlement and deliver the initial settlement 14 payment, as defined therein. 15 4. Defendants previously requested, and Plaintiffs agreed on five occasions, 16 to extend Defendants’ time to file a responsive pleading with the current deadline to 17 respond being November 28, 2017. The parties entered into a Confidentiality Agreement 18 in order to exchange documents and to facilitate settlement discussion. All requests for 19 extensions have been in furtherance of affording the parties an opportunity to engage in 20 meaningful settlement discussions. 21 5. The parties and their counsel wish to have sufficient time respond to the 22 current Settlement draft and attempt to reach a full agreement. Therefore, the parties 23 agree to an extension of time of ten (10) days for Defendants to file a responsive 24 pleading to the Complaint. 25 /// 26 /// MITCHELL, BRISSO, DELANEY & VRIEZE 814 Seventh Street P.O. Drawer 1008 Eureka, CA 95502 __________________________________________2_____________________________________________ STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING RESPONSIVE PLEADING 1 6. Defendants have requested, and Plaintiffs have agreed to provide an 2 additional extension of time to file a responsive pleading to the Complaint to December 3 8, 2017, in order to continue to discuss the prospect of an early resolution of this matter. 4 THE PARTIES HEREBY STIPULATE THAT: 5 1. Defendants’ deadline to file pleadings in response to the Complaint on file 6 in this matter is extended until December 8, 2017. 7 IT IS SO STIPULATED AND AGREED. 8 DATED: November 27, 2017 PALMER LAW GROUP 9 10 By: 11 /s/ William W. Palmer WILLIAM W. PALMER Attorneys for Plaintiffs 12 13 DATED: November 27, 2017 14 MITCHELL, BRISSO, DELANEY & VRIEZE, LLP By: 15 16 /s/ Nicholas R. Kloeppel NICHOLAS R. KLOEPPEL Attorneys for Defendants 17 ORDER 18 19 The above stipulation is accepted and it is so ordered. Defendants DOUGLAS SHAW, VICKY SLEIGHT, and GALASYN, INC., shall have an extension of time to 20 December 8, 2017, to file a responsive pleading to the Complaint. 21 22 Dated: December 5, 2017 23 24 25 26 MITCHELL, BRISSO, DELANEY & VRIEZE 814 Seventh Street P.O. Drawer 1008 Eureka, CA 95502 Troy L. Nunley United States District Judge __________________________________________3_____________________________________________ STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING RESPONSIVE PLEADING

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