McLaughlin v. ChevronTexaco Global Technology Services et al

Filing 34

STIPULATION AND ORDER extending time to and including 9/22/2008 to file responsive pleadings; Signed by Judge Marilyn Hall Patel on 9/9/2008. (awb, COURT-STAFF) (Filed on 9/10/2008)

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1 Michele Ballard Miller (CSBN 104198) Lisa C. Hamasaki (CSBN 197628) 2 Kerry McInerney Freeman (CSBN 184764) MILLER LAW GROUP 3 A Professional Corporation 60 E. Sir Francis Drake Blvd., Ste. 302 4 Larkspur, CA 94939 Tel. (415) 464-4300 5 Fax (415) 464-4336 6 Attorneys for Defendant CHEVRON GLOBAL TECHNOLOGY SERVICES COMPANY, formerly 7 Known as ChevronTexaco Global Technology Services Company, and CHEVRON U.S.A. INC. 8 9 Louis A. Highman (SBN 61703) Bruce J. Highman (SBN 101760) 10 HIGHMAN, HIGHMAN & BALL A Professional Law Association 11 870 Market Street, Suite 467 San Francisco, CA 94102 12 Tel. (415) 982-5563 Fax (415) 982-5202 13 Attorneys for Plaintiff 14 UNITED STATES DISTRICT COURT 15 NORTHERN DISTRICT OF CALIFORNIA 16 17 18 19 20 v. 21 CHEVRON GLOBAL TECHNOLOGY 22 SERVICES COMPANY (f/k/a ChevronTexaco Global Technology Services Company); 23 CHEVRON U.S.A. INC.; DOES 1-20, exclusive, 24 Defendant(s). 25 26 27 Pursuant to Rule 6-1 of the Northern District Local Rules, Defendants EDWARD McLAUGHLIN, Plaintiff(s), Case No. C 05-02190 MHP STIPULATION TO FURTHER EXTEND DEFENDANTS' TIME TO FILE A RESPONSIVE PLEADING A PROFESSIONAL CORPORATION LARKSPUR, CALIFORNIA MILLER LAW GROUP Complaint filed: November 21, 2005 28 CHEVRON GLOBAL TECHNOLOGY SERVICES COMPANY (f/k/a ChevronTexaco Global 1 STIPULATION TO FURTHER EXTEND DEFENDANTS' TIME TO FILE A RESPONSIVE PLEADING Case No. C 05-02190 MHP 1 Technology Services Company) and CHEVRON U.S.A. INC. (for the purposes of this 2 pleading referred to as "Defendants") and Plaintiff Edward McLaughlin, through their 3 respective attorneys, hereby join in this stipulation to extend Defendants' time to respond to 4 Plaintiff's Complaint by two weeks, from September 8, 2008 to September 22, 2008. 5 6 This responsive pleading deadline will allow the parties to finalize the 7 settlement agreement they have tentatively reached, and will not alter the date of any event 8 or any deadline already fixed by Court order. 9 10 Dated: September 8, 2008 11 12 13 A PROFESSIONAL CORPORATION LARKSPUR, CALIFORNIA MILLER LAW GROUP Professional Corporation By:_________/S/ ____________ Michele Ballard Miller Attorneys for Defendants CHEVRON GLOBAL TECHNOLOGY SERVICES COMPANY (f/k/a ChevronTexaco Global Technology Services Company); CHEVRON U.S.A. INC. HIGHMAN, HIGHMAN & BALL MILLER LAW GROUP 14 15 16 17 Dated: September 8, 2008 18 19 20 21 22 By: /S/ Bruce J. Highman Attorneys for Plaintiff EDWARD McLAUGHLIN UNIT ED 23 24 25 26 27 28 2 S S DISTRICT TE C TA ER N D IS T IC T R OF STIPULATION TO FURTHER EXTEND DEFENDANTS' TIME TO FILE A RESPONSIVE PLEADING Case No. C 05-02190 MHP A C LI FO arilyn Judge M l H. Pate R NIA O OR IT IS S DERED RT U O NO RT H

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