Johnson v. American Casualty Company of Reading, PA
Filing
93
STIPULATION AND ORDER extending defendants time to respond to the Second Amended Complaint from 10/7/11 to 10/21/11. Signed by Judge Samuel Conti on 10/4/11. (tdm, COURT STAFF) (Filed on 10/4/2011)
1 JOHN E. PEER, Bar No. 95978
KATY A. NELSON, Bar No. 173759
2 WOOLLS & PEER
A Professional Corporation
3 One Wilshire Boulevard, 22nd Floor
Los Angeles, California 90017
(213) 629-1600
Facsimile: (213) 629-1660
5 jpeer@woollspeer.com, knelson@woollspeer.com
Attorneys for Defendant American Casualty
6 Company of Reading, PA
4 Telephone:
7 Thomas P. Burke, II – Arizona State Bar #009631 [pro hac vice]
BURKE PANZARELLA RICH
8 2198 E. Camelback Road, Suite 375
Phoenix, AZ 85016
9 (602) 222-4848
(602) 222-4858 – FAX
10 Email: minuteentries@bprlaw.com
11 Thomas G. Lewellyn - (California State Bar #111733)
1151 Harbor Bay Parkway, Suite 142
12 Alameda, CA 94502
A Professional Corporation
nd
One Wilshire Boulevard, 22 Floor
Los Angeles, California 90017
WOOLLS & PEER
(510) 337-1600
13 (510) 337-7904 – FAX
14
Email: tlewellynlaw@sbcglobal.net
UNITED STATES DISTRICT COURT
15
NORTHERN DISTRICT OF CALIFORNIA
16
17 Philip Rudolph Johnson,
18
Case No.: 3:09-cv-02125-SC
Assigned to the Hon. Samuel Conti
Plaintiff,
STIPULATION AND ORDER RE
ENLARGING TIME FOR
DEFENDANTS TO RESPOND TO
20 American Casualty Company of Reading, PA, a SECOND AMENDED COMPLAINT
Pennsylvania Corporation,
(Civil L.R. 6-2)
19
v.
21
Defendants.
22
Trial Date:
Pretrial Conference:
Discovery Cutoff Date:
23
3/5/2012
2/24/2012
9/30/2011
24
25
26
Plaintiffs filed a Second Amended Complaint pursuant to court order on September
27 20, 2011. Responses are currently due on October 7, 2012.
28
1
[CASE NO.: 3:09-CV-02125-SC]
STIPULATION AND ORDER ENLARGING TIME
262274.1
1
The parties have been diligently engaged in scheduling and taking percipient witness
2 depositions and expert depositions, which were completed on September 29, 2011, and the
3 parties are preparing for mediation on October 6, 2011.
The parties' efforts are currently focused on the October 6th mediation. The the trial
4
5 was continued from November 15, 2011 to March 5, 2012, and the parties agree that a short
6 extension of time for defendants to respond to the Second Amended Complaint may help
7 facilitate settlement discussions and also is reasonable under the circumstances.
8
Accordingly the parties, through their attorneys of record herein, stipulate that the
9 deadline for defendants to respond to the Second Amended Complaint be extended from
10 October 7, 2011 to October 21, 2011.
11
IT IS SO STIPULATED
13
DATED: October 3, 2011
WOOLLS & PEER
A Professional Corporation
14
/s/
_______________________________
JOHN E. PEER
KATY A. NELSON
Attorneys for Defendant American Casualty
Company of Reading, PA
15
16
17
18
19 DATED: October 3, 2011
20
BURKE PANZARELLA RICH
/s/
_______________________________
Thomas P. Burke, II
Attorney for Plaintiff Philip Rudolph Johnson
21
22
23
IT IS HEREBY ORDERED that the Stipulation and Order is hereby approved and
25 adopted as the Order of the Court.
S
Hon. Samuel Conti, District Judge
Judge S
A
H
ER
LI
RT
2
onti
amuel C
NO
28
262274.1
ERED
O ORD
IT IS S
R NIA
10/4/11
27 Dated:
RT
U
O
26
ISTRIC
ES D
TC
AT
T
FO
24
UNIT
ED
A Professional Corporation
nd
One Wilshire Boulevard, 22 Floor
Los Angeles, California 90017
WOOLLS & PEER
12
N
C
[CASE NO.: 3:09-CV-02125-SC]
OF
D I S T STIPULATION AND ORDER ENLARGING TIME
RICT
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