Emma C., et al v. Eastin, et al

Filing 2303

SECOND AMENDED JOINT STIPULATION AND ORDER RE: STATUS OF STIPULATION CONCLUDING RSIP MONITORING AND TO EXTEND DEADLINE FOR FILING SAME re 2301 Stipulation, filed by Ravenswood City Elementary School District. Signed by Judge Thelton E. Henderson on 5/31/2017. Proposed joint stipulation regarding the resolution of remaining monitoring items under the RSIP due by 7/27/2017.(tlS, COURT STAFF) (Filed on 6/1/2017)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 JOHN C. BEIERS County Counsel (SBN 144282) BY: AIMEE ARMSBY, DEPUTY (SBN 226967) San Mateo Office of County Counsel Hall of Justice and Records 400 County Center, 6th Floor Redwood City, CA 94063 Telephone: (650) 363-4768 Facsimile: (650) 363-4034 Email: aarmsby@smcgov.org Attorneys for Defendant Ravenswood City School District and Related Defendants XAVIER BECERRA, State Bar. No.118517 Attorney General of California ISMAEL A. CASTRO, State Bar. No. 85452 Supervising Deputy Attorney General DARRELL SPENCE (SBN 248011) KARLI EISENBERG (SBN 281923) Deputy Attorneys General 1300 I Street, Suite 125 P.O. Box 944255 Sacramento, CA 94244-2550 Telephone: (916) 323-8549 Fax: (916) 324-5567 E-mails: Darrell.Spence@doj.ca.gov Karli.Eisenberg@doj.ca.gov Attorneys for Defendants Delaine Eastin, Superintendent of Public Instruction, the State Board of Education, and the California Department of Education WILLIAM KOSKI, Esq. (SBN 166061) STANFORD LAW SCHOOL YOUTH & EDUCATION LAW PROJECT MILLS LEGAL CLINIC 559 Nathan Abbott Way Stanford, CA 94305-8610 Telephone: (650) 724-3718 Facsimile: (650) 723-4426 Email: bkoski@stanford.edu Attorneys for Plaintiffs Arlene B. Mayerson, Esq. (SBN 79310) Larisa M. Cummings, Esq. (SBN131076) DISABILITY RIGHTS EDUCATION & DEFENSE FUND, INC. 3075 Adeline Street, Suite 210 Berkeley, CA 94703 Telephone: (510) 644-2555 Facsimile: (510) 841-8645 Emails: amayerson@dredf.org lcummings@dredf.org Attorneys for Plaintiffs 16 17 UNITED STATES DISTRICT COURT 18 NORTHERN DISTRICT OF CALIFORNIA 19 20 _____________________________________________ EMMA C., et al., Case No. C-96-4179 TEH 21 22 Plaintiffs, vs. 23 DELAINE EASTIN, et al. 24 SECOND AMENDED JOINT STIPULATION AND [PROPOSED] ORDER RE: STATUS OF STIPULATION CONCLUDING RSIP MONITORING AND TO EXTEND DEADLINE FOR FILING SAME Defendants. 25 Judge: The Honorable Thelton E. Henderson 26 27 28 Case No. C-96-4179 TEH SECOND AMENDED JOINT STIPULATION AND [PROPOSED] ORDER RE: STATUS OF STIPULATION CONCLUDING RSIP MONITORING AND TO EXTEND DEADLINE FOR FILING SAME 1 2 The parties in this case, the Ravenswood City School District (“District”) and the California 3 Department of Education (CDE) and their respective related defendants, and the Plaintiffs (collectively, 4 “the Parties”) wish to update the Court on the status of their work to finalize a stipulation to conclude the 5 Ravenswood Self Improvement Plan (“RSIP”) and a transition plan for the District’s ultimate dismissal 6 from the case. The most recent version of the stipulation was circulated on Friday, May 26, 2017. In 7 order to allow sufficient time for the Parties to consider the May 26, 2017 stipulation, the Parties 8 respectfully advise the Court that additional time will be needed. 9 The Parties remain confident in their ability to reach a final stipulation for submission to the 10 Court, and therefore ask the Court to further extend the current suspension of the deadline for issuance of 11 the Court Monitoring Report, currently set for June 19, 2017, to July 27, 2017. During such time period, 12 all applicable RSIP monitoring deadlines remain suspended until further Order of this Court. 13 14 SO STIPULATED AND AGREED: 15 16 Dated: May 30, 2017 17 JOHN C. BEIERS, COUNTY COUNSEL COUNTY OF SAN MATEO By: ________________/s/_________________________ Aimee B. Armsby Deputy County Counsel Attorneys for Ravenswood City School District and Related Defendants. 18 19 20 21 22 Dated: May 30, 2017 YOUTH & EDUCATION LAW PROJECT 23 By: 24 25 26 Dated: May 30, 2017 __________________/s/______________________ William S. Koski Attorneys for Plaintiffs OFFICE OF THE ATTORNEY GENERAL 27 28 2 SECOND AMENDED JOINT STIPULATION AND [PROPOSED] ORDER RE: STATUS OF STIPULATION CONCLUDING RSIP MONITORING AND TO EXTEND DEADLINE FOR FILING SAME By: 1 2 3 4 5 6 ____________________/s/_________________ Karli Eisenberg Attorneys for Defendants Delaine Eastin, Superintendent of Public Instruction, State Board of Education and the California Department of Education [PROPOSED] ORDER The Court has reviewed the parties’ Joint Stipulation regarding extending the deadline for 7 issuance of the Court Monitor’s 2016-17 Q3 RSIP Monitoring Report and suspending his monitoring 8 activities. 9 For good cause shown, the parties’ request to approve the agreements contained herein and order 10 the parties’ Joint Stipulation concerning further extension of the deadline for issuance of the Court 11 Monitor’s 2016-17 Q3 RSIP Monitoring Report and suspending related deadlines as forth herein is 12 GRANTED. 13 The Court further finds that, should the parties fail to submit a proposed joint stipulation 14 regarding the resolution of remaining monitoring items under the RSIP to the Court by July 27, 2017, the 15 deadline for issuance of the Court Monitor’s 2016-17 Q3 RSIP Monitoring Report shall be reset for a 16 date thereafter to be determined. 17 IT IS SO ORDERED. 18 19 5/31/2017 ______________________________________ THE HON. THELTON E. HENDERSON UNITED STATES DISTRICT COURT JUDGE Dated: _______________________ 20 21 22 23 24 25 26 27 28 3 SECOND AMENDED JOINT STIPULATION AND [PROPOSED] ORDER RE: STATUS OF STIPULATION CONCLUDING RSIP MONITORING AND TO EXTEND DEADLINE FOR FILING SAME

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