Gilmore, et al v. People of California
Filing
313
ORDER continuing motion to 4/16/10 (tf, COURT STAFF) (Filed on 3/4/2010)
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EDMUND G. BROWN JR. Attorney General of California THOMAS S. PATTERSON Supervising Deputy Attorney General DAMON G. MCCLAIN Deputy Attorney General State Bar No. 209508 455 Golden Gate Avenue, Suite 11000 San Francisco, CA 94102-7004 Telephone: (415) 703-5750 Fax: (415) 703-5843 E-mail: Damon.Mcclain@doj.ca.gov Attorneys for Defendants State of California, et al.
PRISON LAW OFFICE DONALD SPECTER 83925 ALISON HARDY 135966 MEGAN HAGLER 230628 1917 Fifth Street Berkeley, California 94710-1916 Telephone: (510) 280-2621 Facsimile: (510) 280-2704 dspecter@prisonlaw.com Attorney for Plaintiffs
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION
ROBERT O. GILMORE, JR., et al., Plaintiffs, v. STATE OF CALIFORNIA, et al., Defendants.
CV 66-45878 SI
STIPULATION TO CONTINUE THE HEARING ON DEFENDANTS' TERMINATION MOTION
The hearing on Defendants' motion to terminate the injunction in this case is scheduled for March 5, 2010. Subject to the Court's approval, the parties stipulate to continue the hearing to April 16, 2010, to allow the parties to complete the production of supplemental discovery before the hearing. On February 1, 2010, the Court ordered Defendants to respond to several of Plaintiffs' interrogatories and requests for production by February 17, 2010. On February 17, 2010, Defendants responded to Plaintiffs' interrogatories and produced over 11,500 pages of responsive documents. Plaintiff's have requested that Defendants reproduce certain documents because the quality of the copies produced on February 17 are poor and because some documents appear to be incomplete. Plaintiffs have also requested that Defendants confirm that responses to the 1
Stip. Cont. Hearing Defs.' Term. Mot. (CV 66-45878 SI)
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interrogatories are complete and accurate. Moreover, since February 17, 2010, Defendants have identified a substantial number of additional documents that may be responsive to Plaintiffs' discovery requests, and the parties have agreed that Defendants will produce any such responsive documents in a supplemental production by March 19, 2010, and will produce a privilege log for those documents by March 26, 2010. On March 2, 2010, Plaintiffs requested that Defendants stipulate to continue the hearing date so that Plaintiffs would have time to (1) review any reproduced documents and any supplemental responses to the interrogatories, and (2) review the supplemental production of documents and privilege log before the hearing on the termination motion. On March 3, 2010, Defendants agreed to stipulate to the continuance. THEREFORE THE PARTIES AGREE AND STIPULATE that Defendants= termination motion will be heard on April 16, 2010 at 9:00 a.m. Dated: March 3, 2010 Respectfully submitted, EDMUND G. BROWN JR. Attorney General of California
/s/ Damon McClain DAMON MCCLAIN Deputy Attorney General Attorneys for Defendants State of California, et al. Dated: March 3, 2010 PRISON LAW OFFICE
/s/ Alison Hardy ALISON HARDY Attorneys for Plaintiffs PURSUANT TO THE PARTIES' STIPULATION, IT IS SO ORDERED.
Dated: _________________ 2
________________________________ The Honorable Susan Illston United States District Judge
Stip. Cont. Hearing Defs.' Term. Mot. (CV 66-45878 SI)
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