Crosthwaite et al v. Ryan McClure Excavation, Inc.

Filing 15

ORDER GRANTING 14 REQUEST FOR CONTINUANCE OF CASE MANAGEMENT CONFERENCE. Signed by Judge Jeffrey S. White on 10/27/08. (jjo, COURT STAFF) (Filed on 10/27/2008)

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Case 3:08-cv-02403-JSW Document 14 Filed 10/24/2008 Page 1 of 2 1 Muriel B. Kaplan, Esq. (SBN 124607) Shaamini A. Babu, Esq. (SBN 230704) 2 SALTZMAN & JOHNSON LAW CORPORATION 44 Montgomery Street, Suite 2110 3 San Francisco, CA 94104 (415) 882-7900 4 (415) 882-9287 Facsimile mkaplan@sjlawcorp.com 5 sbabu@sjlawcorp.com 6 Attorneys for Plaintiffs 7 8 9 UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA Case No.: C08-2403 JSW REQUEST FOR CONTINUANCE OF CASE MANAGEMENT CONFERENCE AND ORDER THEREON Date: October 31, 2008 Time: 1:30 p.m. Ctrm: 2, 17th Floor Judge: The Honorable Jeffrey S. White 10 GIL CROSTHWAITE, et al., 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 v. Plaintiffs, RYAN McCLURE EXVACATION, INC. Defendant. Saltzman & Johnson Law Corporation is counsel for Plaintiffs GIL CROSTHWAITE, et al. ( Plaintiffs ). Defendant Ryan McClure Excavation, Inc. (Defendant ) has not yet appeared in " " " " this action. In July 2008, Defendant's counsel provided documents related to this action to Plaintiffs' counsel. After analyzing said documents, Plaintiffs' counsel requested additional documents in October 2008 which are believed to be in Defendant's possession. Defendant is currently in the process of compiling further relevant information and documents. The parties expect that the additional documents will assist in resolving the dispute between the parties regarding the balance owed by the Defendant to Plaintiffs. Plaintiffs anticipate that Defendant will either provide payment in a sum agreed to by the parties or enter into a stipulated judgment. Plaintiffs therefore, respectfully request that the Case Management Conference, currently scheduled for October 31, 2008, be continued for approximately sixty (60) days to allow the REQUEST FOR CONTINUANCE OF CASE MANAGEMENT CONFERENCE Case No.: C08-02403 JSW P:\CLIENTS\OE3CL\Ryan McClure Excavation\Pleadings\C08-2403 JSW CMC Continuation Request 102408.DOC Case 3:08-cv-02403-JSW Document 14 Filed 10/24/2008 Page 2 of 2 1 parties ample opportunity to resolve their differences. It is furthermore requested that all 2 previously set deadlines and dates related to this case be continued as well. 3 I declare under penalty of perjury that I am the attorney for the plaintiffs in the above 4 entitled action, and that the foregoing is true of my own knowledge. 5 6 7 8 9 10 11 12 13 14 15 16 17 IT IS SO ORDERED. 18 The currently set Case Management Conference is hereby continued to By: _______________/s/_________________ George A. Guthrie Attorneys for Defendant MURPHY, CAMPBELL, GUTHRIE & ALLISTON By: ______________/s/__________________ Shaamini A. Babu Attorneys for Plaintiffs Executed this 24th day of October, 2008, at San Francisco, California. SALTZMAN & JOHNSON LAW CORPORATION 19 __________________________ at __________________. All related deadlines are extended 1:30 p.m. December 19, 2008 20 21 22 23 24 25 26 27 28 REQUEST FOR CONTINUANCE OF CASE MANAGEMENT CONFERENCE accordingly. October 27, 2008 Date: _________________________ __________________________________ United States District Court Judge Case No.: C08-02403 JSW P:\CLIENTS\OE3CL\Ryan McClure Excavation\Pleadings\C08-2403 JSW CMC Continuation Request 102408.DOC

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