Chevron Global Technology Services Company et al v. Little

Filing 85

ORDER FURTHER EXTENDING CASE DEADLINES. The last day for the parties to file and serve cross-motions for summary judgment is extended to April 16, 2010, the last day to file oppositions is extended to April 30, 2010, the last day to file replies is extended to May 7, 2010, and the hearing is extended to May 28, 2010. Signed by Judge Maxine M. Chesney on April 5, 2010. (mmclc1, COURT STAFF) (Filed on 4/5/2010)

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1 Michele Ballard Miller (SBN 104198) mbm@millerlawgroup.com 2 Katherine L. Kettler (SBN 231586) klk@millerlawgroup.com 3 MILLER LAW GROUP A Professional Corporation 4 111 Sutter Street, Suite 700 San Francisco, CA 94104 5 Tel. (415) 464-4300 Fax (415) 464-4336 6 Attorneys for Plaintiffs CHEVRON GLOBAL 7 TECHNOLOGY SERVICES COMPANY, (formerly known as CHEVRONTEXACO 8 GLOBAL TECHNOLOGY SERVICES COMPANY) and CHEVRON INTERNATIONAL EXPLORATION 9 AND PRODUCTION COMPANY (formerly known as CHEVRONTEXACO OVERSEAS PETROLEUM), 10 a Division of CHEVRON U.S.A., INC. 11 Mark Russakow (SBN 162472) mrussakow@rrjlaw.com 12 Lisa Tan (SBN 228326) lltan@rrjlaw.com 13 RUSSAKOW | RYAN | JOHNSON A Professional Law Corporation 14 225 S. Lake Avenue, 10th Floor Pasadena, CA 91101 15 Tel: (626) 683-8869 Fax: (626) 683-8870 16 Attorneys for Defendant 17 MICHAEL S. LITTLE 18 19 20 CHEVRON GLOBAL TECHNOLOGY 21 SERVICES COMPANY, (formerly known as CHEVRONTEXACO GLOBAL TECHNOLOGY 22 SERVICES COMPANY) and CHEVRON INTERNATIONAL EXPLORATION AND 23 PRODUCTION COMPANY (formerly known as CHEVRONTEXACO 24 OVERSEAS PETROLEUM), a Division of CHEVRON U.S.A., INC. 25 Plaintiffs, 26 v. 27 MICHAEL S. LITTLE, 28 Defendant. Case No. C 06 3157 MMC STIPULATION AND [PROPOSED] ORDER FURTHER EXTENDING CASE DEADLINES UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA A P R O F E S S I O N A L CORPORATION S A N FRANCISCO, C A L I F O R N I A M I L L E R LAW GROUP STIPULATION AND [PROPOSED] ORDER EXTENDING CASE DEADLINES (CASE NO. C 06 3157 MMC) 1 2 (CHEVRON Plaintiffs CHEVRON GLOBAL TECHNOLOGY SERVICES COMPANY "GLOBETECH"), SERVICES AND formerly known as CHEVRONTEXACO CHEVRON ("CIEP"), GLOBAL 3 TECHNOLOGY 4 EXPLORATION COMPANY, and INTERNATIONAL known as PRODUCTION COMPANY formerly 5 CHEVRONTEXACO OVERSEAS PETROLEUM, a division of CHEVRON U.S.A. INC. 6 (referred to collectively as "Plaintiffs") and Defendant Michael S. Little ("Defendant"), through 7 their respective counsel agree and stipulate as follows: 8 9 WHEREAS, on March 22, 2010, the Court extended the Parties' deadline to 10 file briefs in support of their respective Cross-Motions for Summary Judgment to April 2, 11 2010 in the above-referenced Action, with the Parties' opposition and reply briefs to follow, 12 and to appear before the Court for a hearing on the Cross Motions for Summary Judgment 13 on May 14, 2010; A P R O F E S S I O N A L CORPORATION S A N FRANCISCO, C A L I F O R N I A M I L L E R LAW GROUP 14 15 WHEREAS, the Parties are still endeavoring to finalize a settlement of the 16 Action and agree that the current filing deadline should be modified to provide sufficient time 17 for the parties to complete their settlement negotiations; 18 19 20 21 IT IS HEREBY STIPULATED AND AGREED by and between Plaintiffs and NOW , THEREFORE, 22 Defendant, by and through their respective undersigned attorneys of record, to further 23 extend the deadline for filing the Parties' Cross-Motions for Summary Judgment to April 16, 24 2010 and extend all associated deadlines and the hearing date accordingly: 2 5 /// 2 6 /// 2 7 /// 2 8 /// 1 STIPULATION AND [PROPOSED] ORDER EXTENDING CASE DEADLINES (CASE NO. C 06 3157 MMC) 1 2 3 4 5 6 7 8 9 10 April 16, 2010 Last day for the Parties to file and serve CrossMotions for Summary Judgment. Last day for the Parties to file and serve Opposition to Cross-Motions for Summary Judgment. Last day for the Parties to file and serve Reply briefs in support of their respective Cross-Motions for Summary Judgment. Hearings on the Parties' Motions for Summary Judgment. April 30, 2010 May 7, 2010 _____________, 2010 Good cause exists for extending the existing deadline for filing the Parties' 11 Cross-Motions for Summary Judgment, and all associated deadlines, as set forth above. 12 13 A P R O F E S S I O N A L CORPORATION S A N FRANCISCO, C A L I F O R N I A IT IS SO STIPULATED. M I L L E R LAW GROUP 14 15 Dated: April 2, 2010 16 17 18 19 20 21 22 23 24 25 26 27 28 2 STIPULATION AND [PROPOSED] ORDER EXTENDING CASE DEADLINES (CASE NO. C 06 3157 MMC) RUSSAKOW RYAN JOHNSON A Professional Law Corporation By: /S/ Mark Russakow Attorneys for Defendant MICHAEL LITTLE Dated: April 2, 2010 MILLER LAW GROUP A Professional Corporation By: /S/ Michele Ballard Miller Attorneys for Plaintiffs CHEVRON GLOBAL TECHNOLOGY SERVICES COMPANY and CHEVRON INTERNATIONAL EXPLORATION AND PRODUCTION, a division of CHEVRON U.S.A. INC. 1 2 3 ORDER Having reviewed the Stipulation executed by Plaintiffs CHEVRON GLOBAL 4 TECHNOLOGY SERVICES COMPANY and CHEVRON INTERNATIONAL EXPLORATION 5 AND PRODUCTION COMPANY and Defendant MICHAEL LITTLE, and good cause 6 appearing, the Court hereby orders that the May 14, 2010 hearing on the parties Cross7 Motions for Summary Judgment and associated dates are VACATED, and are rescheduled 8 pursuant to the schedule set forth below. 9 10 11 12 13 A P R O F E S S I O N A L CORPORATION S A N FRANCISCO, C A L I F O R N I A A _____ __pril 16 ______, 2010 Last day for the Parties to file and serve CrossMotions for Summary Judgment. A _____ __pril 30 ______, 2010 Last day for the Parties to file and serve Opposition to Cross-Motions for Summary Judgment. M I L L E R LAW GROUP 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION AND [PROPOSED] ORDER EXTENDING CASE DEADLINES (CASE NO. C 06 3157 MMC) 4833-2779-7765, v. 1 _Ma__________, 2010 __ y 7 Last day for the Parties to file and serve Reply briefs in support of their respective Cross-Motions for Summary Judgment. Hearings on the Parties' Cross-Motions for Summary Judgment. _May_28 ______, 2010 ___ __ IT IS SO ORDERED. April 5, 2010 Dated: ________________________ _______________________________ The Honorable Maxine M. Chesney United States District Judge

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