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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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
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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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.
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Defendants have filed six Motions in Limine [Docket #73, #74, #75, #76, #77
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and #78]. The parties stipulate that Plaintiff Johnson may have until October 14, 2011 to
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respond to those motions based on the following good reasons.
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First, the parties have cooperatively worked toward completion of depositions
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which have involved considerable effort and travel every week for the past month, with
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the last deposition completed just yesterday (Sept 29). Second, the parties are scheduled
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to participate in a private mediation next week (Oct 6), and effort is now directed
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toward the mediation. Third, the court has reset trial and the hearing on pending
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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
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plaintiff to respond to defendants’ Motions in Limine to October 14, 2011.
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DATED this 30th day of September, 2011.
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BURKE PANZARELLA RICH
/s/ Thomas P. Burke, II
Thomas P. Burke, II
Attorneys for Plaintiff
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/s/ Katy A. Nelson
John E. Peer
Katy A. Nelson
Attorneys for Defendant American Casualty
Company of Reading, PA
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IT IS HEREBY ORDERED that this stipulation is hereby approved and adopted
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S
10/4/11
ERED
O ORD
IT IS S
R NIA
LI
H
ER
FO
Judge
RT
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The Honorable Samuel Conti
District Judge Samuel Conti
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Dated:
UNIT
ED
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as the order of the court.
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