Hilton v. Washington Mutual Bank et al

Filing 31

ORDER continuing cmc to 8/7/09 @ 2:30. Signed by Judge Illston on 7/1/09. (ts, COURT STAFF) (Filed on 7/2/2009)

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Case3:09-cv-01191-SI Document29 Filed06/30/09 Page1 of 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 UNIT ED S STANLEY G. HILTON, Cal. Bar # 065990 LAW OFFICES OF STANLEY G. HILTON. 2570 NORTH FIRST ST, SUITE 200 SAN JOSE, CA 95131 Tel: (415) 786-4821 Fax: (650) 558 0806 E MAIL: frog727@aol.com Plaintiff and Attorney for Plaintiff STANLEY G HILTON The initial case management is continued to 8/7/09 @ 2:30 p.m.. The joint case management conference statement shall be due one week prior to the conference S DISTRICT TE C TA US DISTRICT COURT, NOR THE RN DISTRICT OF CALIFORNIA ER STANLEY G HILTON, Plaintiff, NO. C-09-1191-SI N F D IS T IC T O R EX PARTE MOTION TO CONTINUE CASE MANAGEMENT CONFERENCE (CMC) AND DUE DATE FOR JOINT CMC STATEMENT ; DECLARATION OF STANLEY G HILTON vs. WASHINGTON MUTUAL BANK, FDIC , ET AL. Defendants. 16 TO THE COURT AND ALL PARTIES AND COUNSEL: PLAINTIFF 17 AND PLAINTIFFS' COUNSEL STANLEY G HILTON HEREBY MOVES EX PARTE FOR AN 18 ORDER CONTINUING THE CASE MANAGEMENT CONFERENCE (CMC) FROM JULY 17 19 2009 TO AUGUST 7 2009 OR A DATE THEREAFTER AND CONTINUING THE DUE DATE 20 FOR FILING OF THE JOINT CMC STATEMENT FROM JULY 10 2009M TO JULY 24 2009 OR 21 A D DATE THEREAFTER. 22 THE REASON FOR THIS MOTION IS THAT PLAINTIFF HILTON WILL BE 23 UNAVAILABLE TO WORK ON THE CMC STATEMENT OR FOR ANY OTHER MATTER 24 ON THIS CASE FROM JULY 1, 2009 THROUGH JULY 11, 2009 BECAUSE HE WILL BE OUT 25 OF THE COUNTRY DURING THAT TIME. MR HILTON SPOKE WITH STEPHEN NG, 26 COUNSEL FOR DEFENDANT FDIC, WHO SAID HE DID NOT OBJECT TO THIS EX PARTE 27 MOTION TO CONTINUE THE CMC AND DUE DATE FIR CMC STATEMENT. SEE 28 A C LI FO usan Judge S Illston R NIA OO IT IS S RDERE D RT U O NO RT H Case3:09-cv-01191-SI Document29 Filed06/30/09 Page2 of 2 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 DECLARATION OF STANLEY G HILTON INFRA. DATE JUNE 30 2009 ________/S/___________________ STANLEY G HILTON PLAINTIFF AND PLAINTIFFS' COUNSEL DE CL AR AT IO N O F STANLEY G HILTON, ESQ. I do state and declare as follows: 1 . I am the plaintiff and counsel for plaintiff in this case. 2 . I will be out of the United States from on or about July 1 2009 to on or about July 11 2009 o n a foreign trip which I must attend. I have bought my plane and hotel tickets and need to a t t en d meetings abroad during that time and cannot change this scheduled trip. Because of this trip it will be extremely difficult to participate in drafting the joint pretrial conference s t a te m e n t with the counsel for the defendants in this case. I therefore ask the court to c o n t i n u e the case management conference (CMC) from July 17 2009 t o a date on or after A u g u s t 7 2009 and I sk the court to extend the time for filing of the joint CMC ST AT EM EN T from July 10 2009 to July 24 2009 or another later date. 3 . On June 30 2009 I spoke on the phone to S t e p h e n Ng of Baker and Botts, counsel for d e f e n d a n t FDIC. He said that his client defendant FDIC does not oppose this ex parte m o t i o n to continue the CMC and due date for joint CMC Statement filing. I declare under penalty of perjury that the above is true and correct. Executed in San Jose CA o n June 30 2009. _______/S/_____________ S T A N LE Y G HILTON

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