Williams et al v. County of Sacramento et al
Filing
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STIPULATION and ORDER signed by District Judge John A. Mendez on 10/6/2017 GRANTING Extension of Time until 10/16/2017 to file a Response of Pleading to the Complaint. (Hunt, G)
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RIVERA & ASSOCIATES
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1425 River Park Drive, Suite 250
Sacramento, California 95815
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Tel: 916-922-1200 Fax: 916 922-1303
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Jesse M. Rivera, SBN 84259
Shanan L. Hewitt, SBN 200168
Jonathan B. Paul, SBN 215884
Jill B. Nathan, SBN 186136
Jamil R. Ghannam, SBN 300730
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Attorneys for Defendants,
County of Sacramento,
Sacramento County Sheriff’s Department
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Mark E. Merin (State Bar No. 043849)
Paul H. Masuhara (State Bar No. 289805)
LAW OFFICE OF MARK E. MERIN
1010 F Street, Suite 300
Sacramento, California 95814
Telephone: (916) 443-6911
Facsimile: (916) 447-8336
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Attorneys for Plaintiffs
DAVON WILLIAMS and JAMES FRANKLIN
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IN THE UNITED STATES DISTRICT COURT
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IN AND FOR THE EASTERN DISTRICT OF CALIFORNIA
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DAVON WILLIAMS and JAMES
FRANKLIN,
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Plaintiffs,
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v.
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COUNTY OF SACRAMENTO,
SACRAMENTO COUNTY SHERIFF’S
DEPARTMENT, et al.,
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Defendants.
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CASE NO: 2:17-cv-01726-JAM-EFB
STIPULATED REQUEST FOR
EXTENSION OF TIME TO RESPOND TO
COMPLAINT; ORDER
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BY AND THROUGH THEIR RESPECTIVE COUNSELS OF RECORD, Plaintiffs
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Davon Williams and James Franklin (collectively “Plaintiffs”) and Defendants County of
Stipulation and Proposed Order re: Request for Extension of Time for Responsive Pleading,
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Sacramento and Sacramento County Sheriff’s Department (collectively “Defendants”) hereby
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stipulate and agree to extend the deadline for Defendants to file a responsive pleading to
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Plaintiffs’ complaint by seven (7) days, from the current deadline of October 9, 2017, to
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October 16, 2017.
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extension of time due to the Defendants’ ongoing investigation into the facts and circumstances
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of the allegations of the Complaint, and thereby respectfully request the Court approve this brief
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extension to permit Defendants to properly respond to the Complaint in accordance with the
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pleading requirements of the Federal Rules of Civil Procedure.
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The parties further stipulate that good cause exists for this one-week
IT IS SO STIPULATED:
DATED: October 6, 2017
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LAW OFFICES OF MARK E. MERIN
(As authorized on 10/6/17)
/s/ Mark E. Merin
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Mark E. Merin
Paul H. Masuhara
Attorney for Plaintiffs
Davon Williams and James Franklin
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DATED: October 6, 2017
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LAW OFFICES OF RIVERA & ASSOCIATES
/s/ Jonathan B. Paul______
Jonathan B. Paul
Glen A. Williams
Attorney for Defendants
County of Sacramento and Sacramento County
Sheriff’s Department
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ORDER
PURSUANT TO STIPULATION, IT IS SO ORDERED.
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Dated: 10/6/2017
/s/ John A. Mendez_____
U.S. District Court Judge
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Stipulation and Proposed Order re: Request for Extension of Time for Responsive Pleading,
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