Andrew et al v. City of Sacramento et al
Filing
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STIPULATION and ORDER signed by District Judge John A. Mendez on 12/26/2019 EXTENDING Time to 3/4/2020, for the parties to file final disposition documents. (York, M)
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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
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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CHRIS ANDREW and RICHARD
MAYBERRY, suing individually and by and
on behalf of all others similarly situated,
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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.
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As set forth in the Court’s June 21, 2018 Minute Order (Doc. No. 28), Plaintiffs Chris
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Andrew and Richard Mayberry, and Defendants City of Sacramento (the “City”), Nationwide
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Investment Services Corporation (“Nationwide”), and International City/County Managers
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Association-Retirement Corporation (“ICMA RC”) (collectively, “Parties”) reached a settlement
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in principal during the June 21, 2018 settlement conference before Magistrate Judge Claire.
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The Parties recently completed and signed a final settlement agreement. However, the
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Parties require a short amount of additional time to carry out terms of the agreement prior to filing
JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS;
CASE NO. 2:17-CV-02266-JAM-KJN
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final disposition documents. Specifically, the settlement agreement requires independent fiduciary
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review prior to the filing of dispositional documents. This independent fiduciary review is not yet
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complete. The Parties therefore request that the deadline to file final disposition documents be
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extended to March 4, 2020, in order to carry out certain terms of the settlement agreement.
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The June 21, 2018 Minute Order set forth a deadline of September 26, 2018 for the Parties
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to file final disposition documents. On September 24, 2018, the Parties filed a stipulation
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requesting the deadline to file final disposition documents be extended to November 16, 2018.
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(Doc. No. 29). That stipulated request was granted by the Court on September 25, 2018. (Doc.
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No. 30). On November 15, the Parties filed a second stipulation requesting that the deadline to file
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final disposition documents be extended to February 22, 2019. (Doc. No. 33). The second
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stipulated request was granted by the Court on November 16, 2018. (Doc. No. 34). On February
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20, 2019, the Parties filed a third stipulation requesting that the deadline to file final disposition
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documents be extended to April 19, 2019. (Doc. No. 35). The third stipulated request was granted
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by the Court on February 21, 2019. (Doc. No. 36). On April 17, 2019, the Parties filed a fourth
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stipulation requesting additional time to July 19, 2019. (Doc. No. 37). That stipulation was granted
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by the Court on April 18, 2019. (Doc. No. 38). On July 18, 2019, the Parties filed a fifth stipulation
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requesting additional time to August 30, 2019. (Doc. No. 40). That stipulation was granted by the
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Court on July 19, 2019. (Doc. No. 41). On August 30, 2019, the Parties filed a sixth stipulation
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requesting additional time to October 16, 2019. (Doc. No. 42). That stipulation was granted by
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the Court on September 3, 2019. On October 17, 2019 the Parties filed a seventh stipulation
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requesting additional time to November 22, 2019. (Doc. No. 44). That stipulation was granted by
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the Court on October 17, 2019. (Doc. No. 45). On November 25, 2019, the Parties filed an eight
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stipulation requesting additional time to December 20, 2019. (Doc. No. 45.) That stipulation was
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granted by the Court on November 25, 2019. (Doc. No. 46.)
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[signature page follows]
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JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS;
CASE NO. 2:17-CV-02266-JAM-KJN
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Dated: December 20, 2019
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Respectfully submitted,
MAYER BROWN, LLP
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By: /s/ Andrew Z. Edelstein (as authorized
12/20/19)
Andrew Z. Edelstein
Attorneys for Defendant
INTERNATIONAL CITY/COUNTY
MANAGERS ASSOCIATION-RETIREMENT
CORPORATION
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Dated: December 20, 2019
Respectfully submitted,
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O’MELVENY & MYERS LLP
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By:/s/ Susannah K. Howard (as authorized
12/20/19)
Susannah K. Howard
Attorneys for Defendant
NATIONWIDE INVESTMENT SERVICES
CORPORATION
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Dated: December 20, 2019
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Respectfully submitted,
MASTAGNI HOLSTEDT, APC
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By: /s/ Isaac S. Stevens
Isaac S. Stevens
Attorneys for Plaintiffs
CHRIS ANDREW and RICHARD
MAYBERRY
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Dated: December 20, 2019
Respectfully submitted,
BUCHALTER
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By: /s/ Kevin T. Collins (as authorized
12/20/19)
Kevin T. Collins
Attorneys for Defendant
CITY OF SACRAMENTO
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JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS;
CASE NO. 2:17-CV-02266-JAM-KJN
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ORDER
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IT IS SO ORDERED. The deadline for the Parties to file final disposition documents shall be
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extended to March 4, 2020.
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12/26/2019
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/s/ John A. Mendez
Hon. John A. Mendez
United States District Judge
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732117258
JOINT STIPULATION RE: DEADLINE TO FILE DISPOSITION DOCUMENTS;
CASE NO. 2:17-CV-02266-JAM-KJN
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