Galasyn et al v. Sleight et al
Filing
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STIPULATION and ORDER signed by District Judge Troy L. Nunley on 6/29/17 ORDERING that Defendants DOUGLAS SHAW, VICKY SLEIGHT, and GALASYN, INC. shall have an extension of time to 7/31/2017, to file a responsive pleading to the Complaint. (Mena-Sanchez, L)
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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
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Attorneys for Defendants
DOUGLAS SHAW, VICKY SLEIGHT,
GALASYN, INC.
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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
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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EDWARD GALASYN, MARTA A.
KINGSBURY in her capacity as
Administrator of the Estate of
Edward Galasyn,
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CASE NO.: 17-CV-00363-TLN-EFB
STIPULATION AND ORDER TO
EXTEND DEFENDANTS’ TIME FOR
FILING RESPONSIVE PLEADING
Plaintiff,
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vs.
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VICKY SLEIGHT, DOUGLAS SHAW,
GALASYN, INC.,
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Defendants.
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MITCHELL, BRISSO,
DELANEY & VRIEZE
814 Seventh Street
P.O. Drawer 1008
Eureka, CA 95502
________________________________________________________________________________________
STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING
RESPONSIVE PLEADING
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IT IS HEREBY STIPULATED by and between the parties, plaintiffs EDWARD
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GALASYN, MARTA A. KINGSBURY in her capacity as Administrator of the Estate of
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Edward Galasyn (“Plaintiffs”), and defendants DOUGLAS SHAW, VICKY SLEIGHT
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and GALASYN, INC. (“Defendants”), through their respective attorneys as follows:
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1.
Plaintiffs filed an initial Complaint on February 21, 2017.
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2.
Defendants, who were served with the initial Complaint, are required to
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respond to the Complaint on or before June 29, 2017, pursuant to this court’s order filed
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on May 31, 2017, (ECF Docket No. 7).
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3.
The parties have spent considerable time locating documents regarding a
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corporation which has been essentially idle for the better part of 50 years. The parties are
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now in the process of informally exchanging documents and are evaluating the potential
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for early resolution of this case. The attorneys are working well together and
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professionally in an effort to conserve the resources of the Court and the parties. It
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remains the goal of the parties to exhaust the potential for early resolution before
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expending resources in litigation.
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4.
Defendants previously requested, and Plaintiffs agreed on two occasions, to
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extend Defendants’ time to file a responsive pleading with the current deadline to
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respond being June 29, 2017.
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5.
Defendants have requested and Plaintiffs have agreed to provide an
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additional extension of time to file a responsive pleading to the Complaint to July 31,
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2017, in order to continue to discuss the prospect of an early resolution of this matter.
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MITCHELL, BRISSO,
DELANEY & VRIEZE
814 Seventh Street
P.O. Drawer 1008
Eureka, CA 95502
________________________________________________________________________________________
STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING
RESPONSIVE PLEADING
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THE PARTIES HEREBY STIPULATE THAT:
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Defendants’ deadline to file pleadings in response to the Complaint on file
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in this matter is extended until July 31, 2017.
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IT IS SO STIPULATED AND AGREED.
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DATED: June 27, 2017
PALMER LAW GROUP
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By:
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/s/ William W. Palmer
WILLIAM W. PALMER
Attorneys for Plaintiffs
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DATED: June 27, 2017
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MITCHELL, BRISSO, DELANEY & VRIEZE, LLP
By:
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/s/ Nicholas R. Kloeppel
NICHOLAS R. KLOEPPEL
Attorneys for Defendants
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ORDER
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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
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July 31, 2017, to file a responsive pleading to the Complaint.
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DATED: June 29, 2017
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Troy L. Nunley
United States District Judge
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MITCHELL, BRISSO,
DELANEY & VRIEZE
814 Seventh Street
P.O. Drawer 1008
Eureka, CA 95502
________________________________________________________________________________________
STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME FOR FILING
RESPONSIVE PLEADING
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