Pacific Coast Horseshoeing School, Inc. et al v. Grafilo, et al
Filing
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STIPULATION and ORDER signed by District Judge John A. Mendez on 12/19/2017 GRANTING an Extension of Time for Defendant to answer the complaint until 1/5/2018. (Hunt, G)
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XAVIER BECERRA, State Bar No. 118517
Attorney General of California
TAMAR PACHTER, State Bar No. 146083
Supervising Deputy Attorney General
P. PATTY LI, State Bar No. 266937
Deputy Attorney General
455 Golden Gate Avenue, Suite 11000
San Francisco, CA 94102-7004
Telephone: (415) 703-1577
Fax: (415) 703-1234
E-mail: Patty.Li@doj.ca.gov
Attorneys for Defendants Dean Grafilo and Michael
Marion, in their official capacities
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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SACRAMENTO DIVISION
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PACIFIC COAST HORSESHOEING
SCHOOL, INC., et al.,
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v.
2:17-cv-02217-JAM-GGH
STIPULATION AND ORDER RE
Plaintiffs, EXTENSION OF TIME TO ANSWER OR
OTHERWISE RESPOND TO
COMPLAINT
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Judge:
The Hon. John A. Mendez
Action Filed: October 23, 2017
GRAFILO, et al.,
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Defendants.
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Plaintiffs Pacific Coast Horseshoeing School, Inc., Bob Smith, and Esteban Narez
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(“Plaintiffs”), and Defendants Dean Grafilo, in his official capacity as Director of Consumer
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Affairs; and Michael Marion, in his official capacity as Chief of the Bureau for Private and
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Postsecondary Education (“Defendants,” and collectively with Plaintiffs, the “Parties”), by and
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through their respective counsel, hereby stipulate and agree as follows:
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WHEREAS, on October 23, 2017, Plaintiffs filed their Complaint;
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WHEREAS, pursuant to a stipulation approved by the Court (ECF No. 12), the last day to
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answer or otherwise respond to Plaintiff’s Complaint currently is December 22, 2017;
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//
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Stipulation and [Proposed] Order (2:17-cv-02217-JAM-GGH)
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WHEREAS, the Parties have been engaged in settlement discussions in an attempt to
resolve this matter forthwith;
WHEREAS, the Parties have agreed that Defendants’ time to answer or otherwise respond
to the Complaint shall be extended by 14 days from the stipulated filing deadline;
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WHEREAS, two previous extensions of time have been sought;
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THEREFORE, in consideration of the foregoing, it is hereby stipulated that:
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1.
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Defendants’ last day to answer or otherwise respond to Plaintiffs’ Complaint shall be
no later than January 5, 2018.
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Pursuant to the stipulation previously approved by the Court (ECF No. 12), the
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Parties shall confer as required by Federal Rule of Civil Procedure 26(f) and prepare and submit a
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joint status report that includes the Federal Rule of Civil Procedure 26(f) discovery plan by
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January 12, 2018.
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Dated: December 19, 2017
Respectfully submitted,
XAVIER BECERRA
Attorney General of California
TAMAR PACHTER
Supervising Deputy Attorney General
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/s/ P. Patty Li
P. PATTY LI
Deputy Attorney General
Attorneys for Defendants Dean Grafilo and
Michael Marion, in their official capacities
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Dated: December 19, 2017
INSTITUTE FOR JUSTICE
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/s/ Keith Diggs
KEITH DIGGS
Attorney for Plaintiffs
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Stipulation and [Proposed] Order (2:17-cv-02217-JAM-GGH)
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HAVING CONSIDERED THE STIPULATION OF THE PARTIES, AND GOOD CAUSE
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APPEARING, IT IS SO ORDERED:
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Dated: 12/19/17
/s/ John A. Mendez_____
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Hon. John A. Mendez
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Stipulation and [Proposed] Order (2:17-cv-02217-JAM-GGH)
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