California Water Service Company v. PPG Industries, Inc. et al

Filing 141

ORDER extending deadline for initial disclosures re 133 . Signed by Judge Illston on 10/20/08. (tsS, COURT STAFF) (Filed on 10/20/2008)

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1 2 3 4 5 6 7 8 9 10 ERIC GRANT, ATTORNEY AT LAW 11 8001 Folsom Boulevard, Suite 100 Sacramento, California 95826 Telephone: (916) 388-0833 Eric Grant (Bar No. 151064) Attorney at Law 8001 Folsom Boulevard, Suite 100 Sacramento, California 95826 Telephone: (916) 388-0833 Facsimile: (916) 691-3261 E-Mail: grant@eric-grant.com Counsel for Defendants R.R. STREET & CO. INC., MONDIAL DRYCLEANING PRODUCTS, INC. (improperly sued as Union Drycleaning Products USA and Realstar, Inc.), and ECO DRY OF AMERICA, INC. (improperly sued as Firbimatic) UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION CALIFORNA WATER SERVICE COMPANY, Plaintiff, ) ) ) ) ) ) ) ) ) ) ) ) ) No. 3:08-cv-03267-SI STIPULATION AND STIPULATED REQUEST FOR ORDER CHANGING DEADLINE FOR INITIAL DISCLOSURES BY AND TO DEFENDANT ECO DRY OF AMERICA, INC. 12 13 14 v. 15 16 17 18 19 20 21 22 23 24 25 26 27 28 THE DOW CHEMICAL COMPANY, et al., Defendants. WHEREAS on September 19, 2008, Plaintiff California Water Company ("Plaintiff") and various Defendants filed a Stipulation, and Stipulated Request for Order Changing Deadline for Initial Disclosures (doc. 68) (the "Stipulation"); WHEREAS on September 23, 2008, this Court approved the Stipulation and entered it as an order of the Court (doc. 78); WHEREAS on October 6, 2008, Defendant Eco Dry of America, Inc. ("Defendant Eco Dry") entered its appearance through counsel (doc. 108); WHEREAS Plaintiff and Defendant Eco Dry desire that the Stipulation be applied, with appropriate modifications, to Defendant Eco Dry; /// Stipulation and Stipulated Request for Order Changing Deadline for Initial Disclosures by and to Defendant Eco Dry of America, Inc. Page 1 No. 3:08-cv-03267-SI 1 2 3 4 5 6 7 8 9 10 ERIC GRANT, ATTORNEY AT LAW 11 8001 Folsom Boulevard, Suite 100 Sacramento, California 95826 Telephone: (916) 388-0833 NOW, THEREFORE, Plaintiff and Defendant Eco Dry, by and through their respective counsel, stipulate and request pursuant to Civil Local Rule 6-2 that this Court enter the following Order: STIPULATION AND REQUESTED ORDER 1. Except to the extent modified below, the Stipulation, and Stipulated Request for Order Changing Deadline for Initial Disclosures (the "Stipulation"), as approved and entered by this Court on September 23, 2008, shall apply to Plaintiff and Defendant Eco Dry. 2. Plaintiff shall be deemed to have provided Defendant Eco Dry with the statement specified in Paragraph 3 of the Stipulation. 3. By October 24, 2008, Defendant Eco Dry will provide Plaintiff with the informa- tion specified in Paragraph 4 of the Stipulation. IT IS SO STIPULATED. Dated: October 15, 2008. Respectfully submitted, /s/ Eric Grant ERIC GRANT Counsel for Defendants R.R. STREET & CO. INC., MONDIAL DRYCLEANING PRODUCTS, INC. (improperly sued as Union Drycleaning Products USA and Realstar, Inc.), and ECO DRY OF AMERICA, INC. (improperly sued as Firbimatic) /s/ Marnie E. Riddle MARNIE E. RIDDLE Sher Leff LLP (whose concurrence to this filing is hereby attested to by the filer, attorney Eric Grant) Counsel for Plaintiff California Water Service Company 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 PURSUANT TO STIPULATION, IT IS SO ORDERED. Dated: October _____, 2008. __________________________________ Hon. Susan Illston United States District Judge Page 2 No. 3:08-cv-03267-SI Stipulation and Stipulated Request for Order Changing Deadline for Initial Disclosures by and to Defendant Eco Dry of America, Inc. 1 2 3 4 5 6 7 8 9 10 ERIC GRANT, ATTORNEY AT LAW 11 8001 Folsom Boulevard, Suite 100 Sacramento, California 95826 Telephone: (916) 388-0833 CERTIFICATE OF SERVICE I hereby certify that I am a member of the Bar of this Court in good standing and counsel of record for Defendants R.R. Street & Co. Inc., Mondial Drycleaning Products, Inc. (improperly sued as Union Drycleaning Products USA and Realstar, Inc.), and Eco Dry of America, Inc. (improperly sued as Firbimatic). I further certify that the foregoing document, namely, STIPULATION AND STIPULATED REQUEST FOR ORDER CHANGING DEADLINE FOR INITIAL DISCLOSURES BY AND TO DEFENDANT ECO DRY OF AMERICA, INC. was served this date upon the following persons by the means indicated thereunder: Richard S. Baron Foley Baron & Metzger PLLC 33533 West 12 Mile Road, Suite 350 Farmington Hill, Michigan 48331 (Via first-class mail, postage prepaid) Susan Lauren Caldwell Koletsky Mancini et al 3460 Wilshire Boulevard, 8th Floor Los Angeles, California 90010 (Via first-class mail, postage prepaid) I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed on October 15, 2008. /s/ Eric Grant ERIC GRANT Counsel for Defendants R.R. STREET & CO. INC., MONDIAL DRYCLEANING PRODUCTS, INC. (improperly sued as Union Drycleaning Products USA and Realstar, Inc.), and ECO DRY OF AMERICA, INC. (improperly sued as Firbimatic) 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Certificate of Service No. 3:08-cv-03267-SI

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