Brown v. City of Oakland et al

Filing 65

ORDER SETTING CASE MANAGEMENT CONFERENCE Case Management Statement due by 7/1/2011. Case Management Conference set for 7/11/2011 10:00 AM in Courtroom 5, 17th Floor, San Francisco. Signed by Judge James Ware on 6/9/11. (sis, COURT STAFF) (Filed on 6/10/2011)

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7 8 9 11 12 16 17 18 re mes Wa Judge Ja ER H 15 LAW OFFICES OF JOHN L. BURRIS JOHN L. BURRIS (State Bar No. 69888) John.Burris@JohnBurrisLaw.com 7677 Oakport Street, Suite 1120 Oakland, California 94621-1939 Telephone: (510) 839-5200 Facsimile: (510) 839-3882 Attorneys for Plaintiff LARAE BROWN RT 14 DERED O OR IT IS S NO 13 S DISTRICT TE C TA RT U O 10 RUIZ & SPEROW, LLP CELIA M. RUIZ (State Bar No. 87671) cruiz@ruizlaw.com JONATHAN D. MARTIN (State Bar No. 188744) jmartin@ruizlaw.com Watergate Tower III 2000 Powell Street, Suite 1655 Emeryville, CA 94608 Telephone: (510) 594-7980 Facsimile: (510) 594-7988 Attorneys for Defendant CITY OF OAKLAND R NIA 6 FO 5 LI 4 A 3 S 2 LAFAYETTE & KUMAGAI LLP GARY T. LAFAYETTE (State Bar No. 88666) glafayette@lkclaw.com MICHAEL J. ENG (State Bar No. 230788) meng@lkclaw.com 100 Spear Street, Suite 600 San Francisco, California 94105 Telephone: (415) 357-4600 Facsimile: (415) 357-4605 Attorneys for Defendant DEBORAH EDGERLY UNIT ED 1 N D IS T IC T R 19 FOR THE NORTHERN DISTRICT OF CALIFORNIA 21 C UNITED STATES DISTRICT COURT 20 OF SAN FRANCISCO DIVISION 22 LARAE BROWN, 23 24 25 26 27 28 Plaintiff, v. CITY OF OAKLAND, a municipal corporation; DEBORAH EDGERLY, in her official capacity as the City Administrator for the CITY OF OAKLAND; DOES 1 through 25, inclusive, Case No. C08-03972 JW Complaint Filed: 8/20/2008 ORDER SETTING CASE Amended Complaint Filed: 3/12/2009 MANAGEMENT CONFERENCE JOINT STATUS STATEMENT Defendants. JOINT STATUS STATEMENT [Case No.: C08-03972 JW] 1 1 2 Pursuant the Reassignment Order, the Reassignment Order, Plaintiff LaRae Brown, Pursuant to to the Court’s March 2, 2011,parties have duly submitted a Joint Status Report. 5 Defendant City of Oakland, and Defendant Deborah Edgerly (collectively the “Parties”) (Docket Item No. 64.) The parties represent that the case may be resolved by June 30, 2011 respectfully submit their Joint Status Statement. through mediation. Based on the parties' representation, and in light of the age of this case, the The Parties believe that it is to their best interests to conduct limited discovery of five Court sets a Case Management Conference for July 11, 2011 at 10 a.m. On or before July 1, critical witnesses (LaRae Brown, Bill Noland, Deborah Edgerly, Terry Adelman, and Cheryl 6 2011, the parties shall file to Joint Case Management Statement. The Statement shall include, inter Taylor) and then proceed a mediation to try to resolve this litigation. In that regard, the Parties 7 have completed the depositions of Terry Adelman a proposed schedule on how this the alia, an update on the parties' settlement efforts andand Cheryl Taylor, and one day ofcase should 8 deposition of Plaintiff LaRae Brown. The depositions of Bill Noland, Deborah Edgerly, and proceed. Plaintiff LaRae Brown (second day) remain to be completed. In light of the Parties’ litigation 3 4 9 10 12 schedules, the 2011 Dated: June 9,Parties have been continuing to work cooperatively and diligently in trying to ___________________________ JAMES WARE schedule mutually available dates to complete the remaining depositions. United State District Chief Judge In its February 15, 2011, Order Extending Discovery Cut-Off, the Court ordered as 13 follows: (1) The non-expert discovery cut-off date is May 27, 2011; (2) If this case is not 14 successfully mediated by June 30, 2011, the Parties shall notify the Court and provide the Court 15 with a joint proposed pretrial scheduling order; and (3) The Court shall then set a scheduling 16 conference on the earliest date after June 30, 2011, that is convenient to the Court. 11 17 18 Respectfully submitted, Dated: March 11, 2011 LAFAYETTE & KUMAGAI LLP /s/ Michael J. Eng MICHAEL J. ENG Attorneys for Defendant DEBORAH EDGERLY Dated: March 11, 2011 RUIZ & SPEROW, LLP /s/ Jonathan D. Martin JONATHAN D. MARTIN Attorneys for Defendant CITY OF OAKLAND Dated: March 11, 2011 LAW OFFICES OF JOHN L. BURRIS /s/ John L. Burris JOHN L. BURRIS Attorney for Plaintiff LARAE BROWN 19 20 21 22 23 24 25 26 27 28 JOINT STATUS STATEMENT [Case No.: C08-03972 JW] 2

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