Anenson et al v. Vacaville Unified School District et al
Filing
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STIPULATION and ORDER signed by Senior Judge Morrison C. England, Jr on 9/14/2020 GRANTING Solano County Special Educations Local Plan Area and Solano County Office Education until 9/11/2020 to respond to the 1 Complaint. (Coll, A)
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Eugene B. Elliot, State Bar No. 111475
Ethan M. Lowry, State Bar No. 278831
Heather G. Hensley, State Bar No. 313860
BERTRAND, FOX, ELLIOT, OSMAN &
WENZEL
2749 Hyde Street
San Francisco, California 94109
Telephone: (415) 353-0999
Facsimile: (415) 353-0990
Email:
eelliot@bfesf.com
elowry@bfesf.com
hhensley@bfesf.com
Roger A. Greenbaum (SBN 159450)
Roger Greenbaum Equity Law & Mediation
290 South Main Street, # 542
Sebastopol, CA 95473-0542
Telephone: (415) 779-2506
E-Mail:
rg@rogergreenbaum.com
Attorney for Plaintiffs
RYAN ANENSON, SARAH ANENSON,
and CHRISTIAN ANENSON
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Attorneys for Defendants
DIXON UNIFIED SCHOOL DISTRICT,
SOLANO COUNTY SPECIAL EDUCATION
LOCAL PLAN AREA,
and SOLANO COUNTY OFFICE OF
EDUCATION
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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RYAN ANENSON; SARAH ANENSON; and
CHRISTIAN ANENSON,
Plaintiffs,
v.
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Case No. 2:20-cv-00901-MCE-DB
VACAVILLE UNIFIED SCHOOL DISTRICT;
DIXON UNIFIED SCHOOL DISTRICT;
SOLANO COUNTY SPECIAL EDUCATION
LOCAL PLAN AREA; SOLANO COUNTY
OFFICE OF EDUCATION; and DOES 1-25,
inclusive,
STIPULATION AND ORDER TO EXTEND
DEFENDANTS SOLANO COUNTY SPECIAL
EDUCATION LOCAL PLAN AREA AND
SOLANO COUNTY OFFICE OF EDUCATION’S
TIME TO FILE RESPONSIVE PLEADING TO
COMPLAINT
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Defendants.
Hon. Morrison C. England, Jr.
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STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME TO FILE RESPONSIVE PLEADING
31 Case No.: 2:20-cv-00901-MCE-DB
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Pursuant to Local Rule 144(a), Plaintiffs RYAN ANENSON, SARAH ANENSON, and
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CHRISTIAN ANENSON, and Defendants SOLANO COUNTY SPECIAL EDUCATION LOCAL
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PLAN AREA (“SELPA”), and SOLANO COUNTY OFFICE OF EDUCATION (“SCOE”), by and
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through their respective attorneys of records, do hereby stipulate to extend the time for Defendants
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SELPA and SCOE (“Defendants”) to respond to the Complaint in the above captioned matter to
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September 11, 2020.
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Plaintiffs and Defendants had previously agreed that responsive pleadings on behalf of
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Defendants would be due September 4, 2020. On September 2, 2020, counsel for Defendants requested
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that Plaintiff dismiss those entities without prejudice. Plaintiffs’ counsel is considering this request, and
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in the interest of conserving the resources of the Court and the parties, the parties have stipulated to
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continue by 7 days the date on which responsive Pleadings on behalf of Defendants are due. The Parties
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hope that this may result in avoiding an unnecessary motion to dismiss and/or strike on the issue of
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Defendants’ viability as parties to the action
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The Plaintiffs and Defendants hereby stipulate and join in respectfully requesting that this Court
approve September 11, 2020, as the due date for responsive pleading by Defendants SELPA and SCOE.
IT IS SO STIPULATED.
Dated: September 4, 2020
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ROGER GREENBAUM EQUITY LAW & MEDIATION
By:
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/s/ Robert A. Greenbaum
Roger A. Greenbaum
Attorneys for Plaintiffs
RYAN ANENSON, SARAH ANENSON, and
CHRISTIAN ANENSON
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Dated: September 4 , 2020
BERTRAND, FOX, ELLIOT, OSMAN & WENZEL
By:
/s/ Ethan M. Lowry
Eugene B. Elliot
Ethan M. Lowry
Heather G. Hensley
Attorneys for Defendant
DIXON UNIFIED SCHOOL DISTRICT, SOLANO
COUNTY SPECIAL EDUCATION LOCAL PLAN
AREA, and SOLANO COUNTY OFFICE OF
EDUCATION
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STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME TO FILE RESPONSIVE PLEADING
Case No.: 2:20-cv-00901-MCE-DB
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ATTORNEY ATTESTATION
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I, Ethan M. Lowry, am the ECF user whose identification and password are being used to file the
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foregoing documents. Pursuant to Civil Local Rule 131(e), I hereby attest that concurrence in the filing
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of these documents has been obtained from each of its Signatories.
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Dated: September 4, 2020
/s/ Ethan M. Lowry
Ethan M. Lowry
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ORDER
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SOLANO COUNTY SPECIAL EDUCATION LOCAL PLAN AREA and SOLANO COUNTY
OFFICE OF EDUCATION’s responsive pleading to the Complaint is due September 11, 2020.
IT IS SO ORDERED.
Dated: September 14, 2020
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STIPULATION AND ORDER TO EXTEND DEFENDANTS’ TIME TO FILE RESPONSIVE PLEADING
Case No.: 2:20-cv-00901-MCE-DB
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