Dahlin et al v. Frieborn et al
Filing
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STIPULATION and ORDER signed by District Judge Morrison C. England, Jr. on 1/9/2019 EXTENDING Time to 1/10/2019, for Plaintiffs to file their response to Defendants' First Motion to Dismiss. (York, M)
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DENNISE HENDERSON (SBN 208640)
Law Office of Dennise Henderson
1903 Twenty First Street
Sacramento, CA 95811
Telephone:
(916) 456-2027
Facsimile:
(916) 456-2035
dshendersonlaw@yahoo.com
Attorney for Plaintiffs
James Dahlin and Kimberly Dahlin
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UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA
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JAMES DAHLIN and KIMBERLY DAHLIN;
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Plaintiffs,
v.
ROSEMARY FRIEBORN; CURT RANSOM;
MARILYN JASPER; CASSIE REEVES;
KATIE NEWMAN; SHERRY COUZENS;
MICHAEL CROSSON; THOMAS SHERIFF,
DVM; SHANA LAURSEN; HUMANE
SOCIETY OF THE SIERRA FOOTHILLS,
INC., a California nonprofit corporation;
FRIENDS OF PLACER COUNTY ANIMAL
SHELTER, an unincorporated association;
FRIENDS OF AUBURN/TAHOE VISTA
PLACER COUNTY ANIMAL SHELTER, an
unincorporated association; FRIENDS OF
AUBURN/TAHOE VISTA-PLACER
COUNTY ANIMAL SHELTER, INC., a
California nonprofit corporation; Doe 1
through Doe 125; EDWARD J. FRITZ; CITY
OF AUBURN; AUBURN POLICE
DEPARTMENT; Officer DEBBIE NELSON;
Officer PHILLIP ISETTA; Officer ANGELA
MCCOLLOUGH; Sergeant TUCKER HUEY;
Doe 126 through 150,
Case No. 2:17-cv-02585-MCE-AC
STIPULATION AND ORDER TO
EXTEND TIME FOR PLAINTIFFS TO
RESPOND TO DEFENDANTS FIRST
MOTION TO DISMISS
Judge: Hon. Morrison C. England, Jr.
Action Filed: December 9, 2017
Defendants.
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STIPULATION TO EXTEND TIME TO FILE
RESPONSE TO FIRST MOTION TO DISMISS
CASE NO. 2:17-CV-02585-MCE-AC
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WHEREAS, on October 17, 2018, Plaintiffs James Dahlin, Kimberly Dahlin, Toby
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Tippets and Martina Tippets (collectively, the “Plaintiffs”) filed their First Amended Complaint
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(“FAC”) in the above-captioned matter in the United States District Court, Eastern District of
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California, against Defendants Rosemary Frieborn, Curt Ransom, Marilyn Jasper, Cassie Reeves,
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Katie Newman, Sherry Couzens, Michael Crosson, Shana Laursen, the Humane Society of the
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Sierra Foothills, Inc., Friends of Auburn/Tahoe Vista-Placer County Animal Shelter, Inc., Friends
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of Placer County Animal Shelter, Friends of Auburn/Tahoe Vista Placer County Animal Shelter,
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and Edward Fritz (collectively, the “Non-Municipal Defendants”), City of Auburn, Auburn Police
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Department, Officer Debbie Nelson, Officer Phillip Isetta, Officer Angela McCollough, and
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Sergeant Tucker Huey (collectively, the “Municipal Defendants”), and Thomas Sheriff;
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WHEREAS, the Non Municipal Defendants and Municipal Defendants filed a Motion to
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Dismiss (see Doc 80, Doc 81);
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WHEREAS, Defendant Thomas Sheriff filed a Motion to Dismiss (see Doc 86);
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WHEREAS, the current deadline for Plaintiffs, to respond to Municipal Defendants
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Motion to Dismiss is due December 28, 2018 (see Doc. 80);
WHEREAS, the current deadline for Plaintiffs, to respond to Non-Municipal Defendants
Motion to Dismiss is due January 10, 2019 (see Doc 81);
WHEREAS, the current deadline for Plaintiffs to respond to Defendant Thomas Sheriff
Motion to Dismiss is due January 10, 2019 (see Doc 86);
WHEREAS, the Plaintiffs, and Municipal Defendants agree that the interests of efficiency
and justice will be promoted if Plaintiffs file their responses to the Motion to
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Dismiss at the same time;
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NOW, THEREFORE, PURSUANT TO EASTERN DISTRICT LOCAL RULE 144(A),
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IT IS HEREBY STIPULATED AND AGREED, by and between counsel for the Plaintiffs, the
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and Municipal Defendants that the deadline for Plaintiffs to file their response to Defendants’
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Motion to Dismiss is extended to January 10, 2019.
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SO STIPULATED AND AGREED.
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//
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STIPULATION TO EXTEND TIME TO FILE
RESPONSE TO FIRST AMENDED COMPLAINT
CASE NO. 2:17-CV-02585-MCE-AC
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Dated: December 20, 2018.
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DENNISE HENDERSON
LAW OFFICE OF DENNISE HENDERSON
By:
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/s/ Dennise Henderson
(Signature authorized December 20,
2018 Attorney for Plaintiffs)
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Attorney for Plaintiffs
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Dated: December 20, 2018.
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MELISSA T. CURRIER
ANGELO, KILDAY & KILDUFF LLP
By:
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/s/ Serena M. Warner
(Signature authorized December 20,
2018
Attorney for Defendant)
Attorney for Municipal Defendants
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IT IS SO ORDERED.
Dated: January 9, 2019
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STIPULATION TO EXTEND TIME TO FILE
RESPONSE TO FIRST AMENDED COMPLAINT
CASE NO. 2:17-CV-02585-MCE-AC
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