Weatherwax v. Teachers Ins. Annuity Assoc., et al.,

Filing 17

STIPULATION and ORDER signed by District Judge Morrison C. England, Jr., on 8/10/17 ORDERING that Defendants' request for a 28 day extension to 9/1/2017, to file their responsive pleading(s) to the First Amended Complaint, and until 9/25/2017, for Plaintiff and Defendants to meet and confer concerning a discovery plan is GRANTED. (Kastilahn, A)

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1 2 3 4 5 6 7 8 David R. Johanson (SBN 164141) HAWKINS PARNELL THACKSTON & YOUNG LLP 1776 Second Street Napa, California 94559 Telephone: (707) 299-2470 Facsimile: (707) 581-1704 djohanson@hptylaw.com Attorneys for Defendants, TEACHERS INSURANCE ANNUITY ASSOCIATION OF AMERICA, PRINCETON UNIVERSITY MONTHLY EMPLOYEES RETIREMENT PLAN, PRINCETON UNIVERSITY RETIREMENT SAVINGS PLAN AND THE TRUSTEES OF PRINCETON UNIVERSITY 9 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA SACRAMENTO DIVISION 10 11 12 13 14 15 16 17 18 19 20 21 22 23 ) ) ) Plaintiff, ) ) v. ) ) TEACHERS INSURANCE ANNUITY ) ASSOCIATION OF AMERICA F/K/A ) TEACHERS INSURANCE ANNUITY ) ASSOCIATION AND COLLEGE RETIREMENT) EQUITY FUND, PRINCETON UNIVERSITY ) MONTHLY EMPLOYEES RETIREMENT ) PLAN, PRINCETON UNIVERSITY ) RETIREMENT SAVINGS PLAN, AND ) TRUSTEES OF PRINCETON UNIVERSITY ) A/K/A PRINCETON BENEFITS COMMITTEE, ) ) ) Defendants LESLIE WEATHERWAX, Case No.: 2:17-cv-01050-MCE-KJN JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANTS TO RESPOND TO FIRST AMENDED COMPLAINT AND FOR PARTIES TO MEET AND CONFER REGARDING A DISCOVERY PLAN; ORDER Defendants, Teachers Insurance Annuity Association Of America F/K/A Teachers Insurance 24 Annuity Association And College Retirement Equity Fund, Princeton University Monthly 25 Employees Retirement Plan, Princeton University Retirement Savings Plan, And Trustees Of 26 Princeton University A/K/A Princeton Benefits Committee (hereinafter, collectively, “Defendants”) 27 and Plaintiff Leslie Weatherwax hereby stipulate and agree to an extension of time for Defendants 28 1 JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANTS TO RESPOND TO FIRST AMENDED COMPLAINT AND MEET AND CONFER REGARDING DISCOVERY PLAN; ORDER 1 2 3 4 5 6 7 8 9 10 11 12 13 to respond to the First Amended Complaint and for an extension of the deadlines contained within this Court’s May 18, 2017, Initial Pretrial Scheduling Order (this “Joint Stipulation”). Plaintiff and Defendants are in the process of memorializing settlement terms in a settlement agreement and mutual general release. Defendants are presently required to respond to the First Amended Complaint no later than August 4, 2017. [Dkt. 13.] Furthermore, Plaintiff and Defendants are required to meet and confer concerning a discovery plan on or before August 28, 2017. Plaintiff and Defendants stipulate to and request a twenty-eight day extension for both deadlines, to Friday, September 1, 2017, to respond to the First Amended Complaint, and to September 25, 2017, for Plaintiff and Defendants to meet and confer concerning a discovery plan. WHEREFORE, Defendants, with the consent of Plaintiff, respectfully request this Court to grant to Defendants a twenty-eight day extension to Friday, September 1, 2017, in which to file their responsive pleading(s) to the First Amended Complaint, and until September 25, 2017, for Plaintiff and Defendants to meet and confer concerning a discovery plan. 14 15 Dated: August 9, 2017 Respectfully submitted, 16 17 HAWKINS PARNELL THACKSTON & YOUNG LLP 18 19 By: /s/ David R. Johanson David R. Johanson Its: Partner 1776 Second Street Napa, California 94559 Telephone: (707) 299-2470 Facsimile: (707) 581-1704 20 21 22 23 Attorneys for Defendants Teachers Insurance Annuity Association of America, Princeton University Monthly Employees Retirement Plan, Princeton University Retirement Savings Plan, and The Trustees of Princeton University 24 25 26 27 28 2 JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANTS TO RESPOND TO FIRST AMENDED COMPLAINT AND MEET AND CONFER REGARDING DISCOVERY PLAN; ORDER 1 2 3 DOWNEY BRAND, LLP 4 By: /s/ Tyson Ellery Hubbard Tyson Ellery Hubbard Annie S. Amaral Karina R. Stanhope 621 Capitol Mall Eighteenth Floor Sacramento, CA 95814-4686 916-520-5216 Fax: 916-520-5616 Email: thubbard@downeybrand.com aamaral@downeybrand.com kstanhope@downeybrand.com 5 6 7 8 9 10 Attorneys for Plaintiff Leslie Weatherwax 11 12 ORDER 13 14 Pursuant to the stipulation of the parties, and good cause having been shown, Defendants’ 15 request for a twenty-eight day extension to Friday, September 1, 2017, in which to file their 16 responsive pleading(s) to the First Amended Complaint, and until September 25, 2017, for Plaintiff 17 and Defendants to meet and confer concerning a discovery plan is GRANTED. 18 19 IT IS SO ORDERED. Dated: August 10, 2017 20 21 22 23 24 25 26 27 28 3 JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANTS TO RESPOND TO FIRST AMENDED COMPLAINT AND MEET AND CONFER REGARDING DISCOVERY PLAN; ORDER

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