Gonzalez v. Commissioner of Social Security

Filing 15

ORDER signed by Magistrate Judge Allison Claire on 9/26/2017 ORDERING that Defendant shall have a first EXTENSION of time of 30 days to respond to Plaintiff's motion for summary judgment and/or to file any cross-motions, due by 10/27/2017; any reply on or before 11/10/2017. (Reader, L)

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1 2 3 4 5 6 7 8 9 PHILLIP A. TALBERT Acting United States Attorney DEBORAH LEE STACHEL Regional Chief Counsel, Region IX Social Security Administration SHARON LAHEY (CBSN 263027) Special Assistant United States Attorney 160 Spear Street, Suite 800 San Francisco, California 94105 Telephone: (415) 977-8963 Facsimile (415) 744-0134 E-Mail: sharon.lahey@ssa.com Attorneys for DEFENDANT 10 UNITED STATES DISTRICT COURT 11 EASTERN DISTRICT OF CALIFORNIA 12 FRESNO DIVISION 13 14 PHYLLIS M. GONZALEZ, 15 16 Plaintiff, vs. 17 18 19 NANCY A. BERRYHILL, Acting Commissioner Of Social Security, Defendant. 20 ) ) ) ) ) ) ) ) ) ) ) CIVIL NO. 2:17-cv-00595-AC STIPULATION AND PROPOSED ORDER FOR DEFENDANT’S FIRST EXTENSION OF TIME TO RESPOND TO PLAINTIFF’S MOTION FOR SUMMARY JUDGMENT 21 IT IS HEREBY STIPULATED, by and between Phyllis M. Gonzalez (“Plaintiff”) and 22 Nancy A. Berryhill, Acting Commissioner of Social Security (“Defendant”) (collectively, the 23 “Parties”), by and through their respective counsel of record, that Defendant shall have a first 24 extension of time of 30 days to respond to Plaintiff’s motion for summary judgment and/or to file 25 any cross-motions. The current deadline is September 29, 2017, and the new deadline would be 26 October 27, 2017. Any reply thereto would be due on or before November 10, 2017. Defendant 27 requests this additional time so that she may continue to consider the possible settlement of this 28 STIPULATION FOR EXTENSION OF TIME CASE NO.: 2:17-CV-00249-CMK 1 action without further briefing. The Parties further stipulate that the Court’s Scheduling Order 2 shall be modified accordingly. 3 4 Date: September 25, 2017 LAW OFFICES OF LAWRENCE D. ROHLFING 5 By: /s/ Brian Shapiro BRIAN SHAPIRO Attorneys for the Plaintiff (*Authorized by email on September 25, 2017) 6 7 8 9 Date: September 25, 2017 10 PHILLIP A. TALBERT Acting United States Attorney 11 By: /s/ Sharon Lahey SHARON LAHEY Special Assistant United States Attorney 12 13 14 15 ORDER 16 17 Pursuant to stipulation, good cause appearing, IT IS SO ORDERED. 18 19 20 DATED: September 26, 2017 21 22 23 24 25 26 27 28 STIPULATION FOR EXTENSION OF TIME 2 CASE NO.: 2:17-CV-00249-CMK

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