Andrew et al v. City of Sacramento et al

Filing 41

STIPULATION and ORDER signed by District Judge John A. Mendez on 7/18/2019 EXTENDING the deadline for the Parties to file final disposition documents to 8/30/2019. (Huang, H)

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1 2 3 4 5 6 7 8 DAVID P. MASTAGNI, ESQ. (SBN 57721) david@mastagni.com ISAAC S. STEVENS, ESQ. (SBN 251245) istevens@mastagni.com MASTAGNI HOLSTEDT A Professional Corporation 1912 “I” Street Sacramento, California 95811-3151 Telephone: (916) 446-4692 Facsimile: (916) 447-4614 Attorneys for Plaintiffs CHRIS ANDREW and RICHARD MAYBERRY 9 UNITED STATES DISTRICT COURT 10 EASTERN DISTRICT OF CALIFORNIA 11 12 13 CHRIS ANDREW and RICHARD MAYBERRY, suing individually and by and on behalf of all others similarly situated, 14 15 16 17 18 19 20 Plaintiffs, v. Case No. 2:17-cv-02266-JAM-KJN JOINT STIPULATION TO CONTINUE DEADLINE TO FILE DISPOSITION DOCUMENTS Hon. John A. Mendez CITY OF SACRAMENTO; NATIONWIDE INVESTMENT SERVICES CORPORATION, an Ohio Corporation; INTERNATIONAL CITY/COUNTY MANAGERS ASSOCIATION-RETIREMENT CORPORATION, a District of Columbia Company, Defendants. 21 22 23 24 25 26 27 28 JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS; CASE NO. 2:17-CV-02266-JAM-KJN 1 As set forth in the Court’s June 21, 2018 Minute Order (Doc. No. 28), Plaintiffs Chris 2 Andrew and Richard Mayberry, and Defendants City of Sacramento (the “City”), Nationwide 3 Investment Services Corporation (“Nationwide”), and International City/County Managers 4 Association-Retirement Corporation (“ICMA RC”) (collectively, “Parties”) reached a settlement 5 in principal during the June 21, 2018 settlement conference before Magistrate Judge Claire. Since 6 that time, the Parties have been drafting settlement documents; however, these documents have still 7 not yet been finalized despite the Parties’ collaborative efforts. 8 The June 21, 2018 Minute order set forth a deadline of September 26, 2018 for the Parties 9 to file final disposition documents. On September 24, 2018, the Parties filed a stipulation 10 requesting the deadline to file final disposition documents be extended to November 16, 2018. 11 (Doc. No. 29). That stipulated request was granted by the Court on September 25, 2018. (Doc. 12 No. 30). On November 15, the Parties filed a second stipulation requesting that the deadline to file 13 final disposition documents be extended to February 22, 2019. (Doc. No. 33). The second 14 stipulated request was granted by the Court on November 16, 2018. (Doc. No. 34). On February 15 20, 2019, the Parties filed a third stipulation requesting that the deadline to file final disposition 16 documents be extended to April 19, 2019. (Doc. No. 35). The third stipulated request was granted 17 by the Court on February 21, 2019. (Doc. No. 36). On April 17, 2019, the Parties filed a fourth 18 stipulation requesting additional time to July 19, 2019. (Doc. No. 37). That stipulation was granted 19 by the Court on April 18, 2019. (Doc. No. 38). 20 The Parties have made significant progress and have a near final draft of their agreement, 21 but request a limited amount of additional time to finalize the draft, get client approval, and obtain 22 the required signatures. In addition, and critically, the Parties will need additional time after 23 finalizing the settlement agreement to carry out certain terms of the agreement, before final 24 disposition documents can be filed. The Parties therefore request that the deadline to file final 25 disposition documents be extended to August 30, 2019. 26 27 28 [signature page follows] 2 JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS; CASE NO. 2:17-CV-02266-JAM-KJN 1 Dated: July 18, 2019 2 Respectfully submitted, MAYER BROWN, LLP 3 4 By: /s/ Andrew Z. Edelstein (as authorized 7/18/19) Andrew Z. Edelstein Attorneys for Defendant INTERNATIONAL CITY/COUNTY MANAGERS ASSOCIATION-RETIREMENT CORPORATION 5 6 7 8 Dated: July 18, 2019 Respectfully submitted, 9 O’MELVENY & MYERS LLP 10 11 By: /s/ Susannah K. Howard (as authorized 7/18/19) Susannah K. Howard Attorneys for Defendant NATIONWIDE INVESTMENT SERVICES CORPORATION 12 13 14 15 Dated: July 18, 2019 16 Respectfully submitted, MASTAGNI HOLSTEDT, APC 17 18 By: /s/ Isaac S. Stevens Isaac S. Stevens Attorneys for Plaintiffs CHRIS ANDREW and RICHARD MAYBERRY 19 20 21 22 Dated: July 18, 2019 Respectfully submitted, BUCHALTER 23 24 25 26 By: /s/ Kevin T. Collins (as authorized 7/18/19) Kevin T. Collins Attorneys for Defendant CITY OF SACRAMENTO 27 28 3 JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS; CASE NO. 2:17-CV-02266-JAM-KJN 1 IT IS SO ORDERED. The deadline for the Parties to file final disposition documents shall be 2 extended to August 30, 2019. 3 DATED: 7/18/19 4 /s/ John A. Mendez_____________ Hon. John A. Mendez United States District Court Judge 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 4 732117258 JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS; CASE NO. 2:17-CV-02266-JAM-KJN

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