Catchings v. Salazar et al

Filing 69

STIPULATION AND ORDER to Remove Incorrectly Filed Document from Docket Entry Nos. 40 and 50. Signed by Judge Thelton E. Henderson on 06/07/2011. (tmi, COURT STAFF) (Filed on 6/8/2011)

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1 2 3 4 5 MELINDA HAAG (CSBN (CSBN 132612)) United States Attorney JOANN M. SWANSON (CSBN 88143) Chief, Civil Division VICTORIA R. CARRADERO (CSBN 217885) JUAN D. WALKER (CSBN 208008) Assistant United States Attorneys 7 450 Golden Gate Avenue, 9TH Floor San Francisco, California 94102-3495 Telephone: (415) 436-7181 Fax: (415) 436-6748 Email: victoria.carradero@usdoj.gov 8 Attorneys for Federal Defendant Ken Salazar 6 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 13 14 15 16 17 18 19 20 21 22 ) ) ) Plaintiff, ) ) v. ) KEN SALAZAR, IN HIS OFFICIAL ) CAPACITY AS SECRETARY OF THE INTERIOR, MARCIA MCNUTT, IN HER ) OFFICIAL CAPACITY AS DIRECTOR OF ) ) THE UNITED STATES GEOLOGICAL SURVEY, ANNE KINSINGER, IN HER ) OFFICIAL CAPACITY AS REGIONAL DIRECTOR OF THE WESTERN REGION OF THE UNITED STATES GEOLOGICAL SURVEY, AND DOES 1-50. RUFUS CATCHINGS, Case No. 10-00625-TEH STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. Defendant. 23 24 25 26 27 28 STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. - Case No. 10-00625 1 2 3 4 5 6 7 Plaintiff Rufus Catchings (“Plaintiff”), and Defendant Ken Salazar, Secretary of the Interior (“Defendant”) by and through their undersigned counsel, hereby stipulate as follows: WHEREAS, on May 23, 2011, Defendant filed a motion for summary judgment. As part of this motion, Exhibit A to the Carradero Declaration (Docket Entry No. 40), contained three exhibits that were filed incorrectly. Three of these exhibits were inadvertently left unredacted: two contain Plaintiff’s SSN and one (containing employee’s 8 performance ratings) was designated as confidential by Defendant during a deposition. 9 Defendant filed a replacement Exhibit A, Docket 50, but the third party performance rating 10 document was not properly redacted. At Defendant’s request, these docket links have been 11 locked and remain locked. 12 ACCORDINGLY, the parties hereby stipulate and request that Docket Entry Nos. 13 40 and 50 be removed from the CM/ECF system and case file so that the Declaration 14 (along with properly redacted Exhibits) may be re-filed with Plaintiff’s and other third 15 parties’ personal information properly redacted. 16 17 IT IS SO STIPULATED DATED: June 6, 2011 HOYER & ASSOCIATES 18 19 ________/s/_______________ 20 David Lipps 21 Attorney for Plaintiff 22 DATED: June 6, 2011 MELINDA HAAG 23 United States Attorney 24 __________/s/______________ 25 Victoria R. Carradero 26 Assistant United States Attorney 27 Attorneys for Defendant 28 STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. - Case No. 10-00625 1 1 2 3 4 5 6 PURSUANT TO STIPULATION IT IS SO ORDERED. The Court ORDERS that the Carradero Declaration, Exhibit A (Docket Entry No. 40) and replacement document (Docket Entry No. 50) be removed from the CM/ECF system and case file so that the Exhibits may be re-filed with Plaintiff’s and third parties’ personal information redacted. 7 8 16 E. Hend Thelton Judge District Court Judge United States LI ER FO The Honorable Thelton E. Henderson erson H 15 ______________________________ RT 14 06/07/2011 NO 13 DATED: A 12 R NIA 11 UNIT ED 10 S DISTRICT TE C TA RT U O S 9 N F D IS T IC T O R C 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. - Case No. 10-00625 2

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