Johnson v. American Casualty Company of Reading, PA

Filing 92

STIPULATION AND ORDER Extend Time To Respond to Defendants' Motions in Limine 1-6 to 10/14/11. Signed by Judge Samuel Conti on 10/4/11. (tdm, COURT STAFF) (Filed on 10/4/2011)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 Thomas P. Burke, II – (Arizona State Bar #009631 [pro hac vice]) BURKE PANZARELLA RICH 2198 E. Camelback Road, Suite 375 Phoenix, AZ 85016 (602) 222-4848 (602) 222-4858 – FAX Email: minuteentries@bprlaw.com Thomas G. Lewellyn - (California State Bar #111733) 1151 Harbor Bay Parkway, Suite 142 Alameda, CA 94502 (510) 337-1600 (510) 337-7904 – FAX Email: tlewellynlaw@sbcglobal.net John E. Peer, Bar No. 95978 Katy A. Nelson, Bar No. 173759 WOOLLS & PEER A Professional Corporation One Wilshire Boulevard, 22nd Floor Los Angeles, California 90017 Telephone: (213) 629-1600 Facsimile: (213) 629-1660 jpeer@woollspeer.com, knelson@woollspeer.com Attorneys for Defendant American Casualty Company of Reading, PA Attorneys for Plaintiff 18 UNITED STATES DISTRICT COURT 19 NORTHERN DISTRICT OF CALIFORNIA 20 21 22 23 24 25 26 Philip Rudolph Johnson, Case No. 3:09-cv-02125-SC Assigned to the Hon. Samuel Conti Plaintiff, STIPULATION AND ORDER RE vs. ENLARGING TIME FOR PLAINTIFF TO RESPONND TO MOTIONS IN American Casualty Company of Reading LIMINE PA, a Pennsylvania Corporation; DOES 1100, Trial Date: 03/05/12 Pretrial conference: 02/24/12 Discovery Cutoff Date: 9/30/11 Defendant. -1- 1 Defendants have filed six Motions in Limine [Docket #73, #74, #75, #76, #77 2 and #78]. The parties stipulate that Plaintiff Johnson may have until October 14, 2011 to 3 respond to those motions based on the following good reasons. 4 First, the parties have cooperatively worked toward completion of depositions 5 6 which have involved considerable effort and travel every week for the past month, with 7 the last deposition completed just yesterday (Sept 29). Second, the parties are scheduled 8 to participate in a private mediation next week (Oct 6), and effort is now directed 9 toward the mediation. Third, the court has reset trial and the hearing on pending 10 11 12 Motions in Limine (and the Pretrial Conference) by approximately four months. (Docket #86). Thus, the short extension is reasonable. Accordingly, counsel respectfully request an order extending the deadline for 13 14 plaintiff to respond to defendants’ Motions in Limine to October 14, 2011. 15 DATED this 30th day of September, 2011. 16 BURKE PANZARELLA RICH /s/ Thomas P. Burke, II Thomas P. Burke, II Attorneys for Plaintiff 17 18 19 /s/ Katy A. Nelson John E. Peer Katy A. Nelson Attorneys for Defendant American Casualty Company of Reading, PA 20 21 22 23 IT IS HEREBY ORDERED that this stipulation is hereby approved and adopted 24 S 10/4/11 ERED O ORD IT IS S R NIA LI H ER FO Judge RT -2- NO The Honorable Samuel Conti District Judge Samuel Conti A Dated: UNIT ED 26 ISTRIC ES D TC AT T RT U O 25 as the order of the court. N F D IS T IC T O R C

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