Beckway v. DeShong et al

Filing 130

STIPULATION AND ORDER for extension of ADR deadline. Signed by Judge Thelton E. Henderson on 09/08/10. (rbe, COURT STAFF) (Filed on 9/9/2010)

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Beckway v. DeShong et al Doc. 130 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 CHARLES F. BOURDON, State Bar #84782 Law Offices of Charles F. Bourdon 179 - 11th Street, 2nd Floor San Francisco, CA 94103 415-864-5100 415-865-0376 (fax) BARON J. DREXEL, State Bar #132529 Law Offices of Baron J. Drexel 212 Ninth Street, Suite 401 Oakland, CA 94607 510-444-3184 (phone) 510-444-3181 (fax) Attorneys for Plaintiff MARK A. JONES, State Bar #96494 KRISTEN K. PRESTON, State Bar #125455 JONES & DYER A Professional Corporation 1800 J Street Sacramento, California 95811 Telephone: (916) 552-5959 Fax: (916) 442-5959 Attorneys for: Defendants County of Lake, County of Lake Sheriff's Department, Sheriff Rodney Mitchell and Deputy Richard Ward TERENCE J. CASSIDY, State Bar #99180 JOHN R. WHITEFLEET, State Bar #213301 PORTER | SCOTT 350 University Avenue, Suite 200 Sacramento, California 95825 Telephone: (916) 929-1481 Fax: (916) 927-3706 Attorneys for: Defendant Deputy Paul DeShong UNITED STATES DISTRICT COURT 21 NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION 22 BRENT BECKWAY, 23 vs. 24 25 26 27 28 S T I P U L A T I O N AND ORDER FOR EXTENSION OF ADR DEADLINE C A S E NO. C-07-5072 TEH H : \ M A J . c a s e s \ B e c k w a y v . L a k e C o u n t y \ P l e a d i n g s \ S t i p a n d O r d e r to e x t e n d A D R d e a d l i n e . w p d Plaintiff , DEPUTY PAUL DESHONG, DOES 1 through 10, inclusive, SHERIFF RODNEY K. MITCHELL, COUNTY OF LAKE SHERIFF'S DEPARTMENT and COUNTY OF LAKE, Defendants. _________________________________________ ) NO. C 07 5072 TEH ) ) STIPULATION AND ORDER FOR ) EXTENSION OF ADR DEADLINE ) ) ) ) ) ) ) -1- Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 The court held the most recent Case Management Conference in the above matter on August 30, 2010. The court directed the parties to resolve various discovery issues, including setting dates certain for the parties' depositions, and if no resolution could be reached, a further Case Management Conference was set for September 13, 2010 at 1:30 p.m. The parties have reached an agreement with respect to the discovery issues, and the parties filed their further joint Case Management Conference statement on September 3, 2010 reflecting the resolution of the discovery issues. The September 13, 2010 Case Management Conference has been vacated and the next Case Management Conference is set for October 25, 2010 at 1:30 p.m. The present deadline within which to complete ADR is September 30, 2010. Steven Saltiel of the United States Attorney's Office has been appointed as the mediator for purposes of court ordered ADR. The parties participated in a pre-mediation conference and to assure compliance with the present timeline, the parties scheduled a mediation for September 29, 2010. The parties believe that the mediation will be more meaningful and potentially fruitful if the depositions of plaintiff and the two named defendant officers are completed prior to the mediation. In light of the availability of counsel and deponents, the parties have set the deposition of Deputy Paul DeShong for October 27, 2010, the deposition of Deputy Richard Ward for November 1, 2010 and the deposition of plaintiff for November 10, 2010. The parties stipulate and request that the court continue the ADR cutoff date to January 5, 2011 so that the parties can complete the depositions and then proceed with mediation in December of this year. The parties have discussed with Mr. Saltiel the potential for an early December mediation, and Mr. Saltiel has no objection to continuing the presently scheduled mediation date to a mutually agreeable date in December. Accordingly, the parties stipulate and request that the court extend the date within which the parties are required to participate in ADR from September 30, 2010 to January 5, 2011. Dated: September 8, 2010. LAW OFFICES OF CHARLES F. BOURDON By: /s/ Charles F. Bourdon CHARLES F. BOURDON Attorneys for Plaintiff S T I P U L A T I O N AND ORDER FOR EXTENSION OF ADR DEADLINE C A S E NO. C-07-5072 TEH H : \ M A J . c a s e s \ B e c k w a y v . L a k e C o u n t y \ P l e a d i n g s \ S t i p a n d O r d e r to e x t e n d A D R d e a d l i n e . w p d -2- 1 2 Dated: September 8, 2010. 3 4 By: 5 6 7 8 9 By: 10 11 12 Dated: September 8, 2010. 13 14 By: 15 16 17 18 ORDER 19 The Court having considered the foregoing stipulation of the parties, and good cause 20 appearing, the Court hereby orders that the last day to complete ADR in this matter is extended from 21 September 30, 2010 to January 5, 2011. 22 09/08/10 Dated: _________________________ /s/ John R. Whitefleet JOHN R. WHITEFLEET Attorneys for Defendant Paul DeShong PORTER SCOTT /s/ Mark A. Jones KRISTEN PRESTON Attorneys for Defendants County of County of Lake, County of Lake Sheriff's Department and Sheriff Rodney Mitchell, Deputy Richard Ward Dated: September 8, 2010. JONES & DYER /s/ Baron J. Drexel BARON J. DREXEL Attorney for Plaintiff LAW OFFICES OF BARON J. DREXEL 24 25 26 27 28 J ER N S T I P U L A T I O N AND ORDER FOR EXTENSION OF ADR DEADLINE C A S E NO. C-07-5072 TEH H : \ M A J . c a s e s \ B e c k w a y v . L a k e C o u n t y \ P l e a d i n g s \ S t i p a n d O r d e r to e x t e n d A D R d e a d l i n e . w p d F D IS T IC T O R -3- A C LI FO He elton E. udge Th nderson R NIA _____________________________________ HON. THELTON E. HENDERSON United States Federal Judge UNIT ED 23 S S DISTRICT TE C TA RT U O NO RT H

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