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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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
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450 Golden Gate Avenue, 9TH Floor
San Francisco, California 94102-3495
Telephone: (415) 436-7181
Fax: (415) 436-6748
Email: victoria.carradero@usdoj.gov
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Attorneys for Federal Defendant Ken Salazar
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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)
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Plaintiff,
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v.
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KEN SALAZAR, IN HIS OFFICIAL
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CAPACITY AS SECRETARY OF THE
INTERIOR, MARCIA MCNUTT, IN HER )
OFFICIAL CAPACITY AS DIRECTOR OF )
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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.
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STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED
DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. - Case No. 10-00625
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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
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performance ratings) was designated as confidential by Defendant during a deposition.
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Defendant filed a replacement Exhibit A, Docket 50, but the third party performance rating
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document was not properly redacted. At Defendant’s request, these docket links have been
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locked and remain locked.
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ACCORDINGLY, the parties hereby stipulate and request that Docket Entry Nos.
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40 and 50 be removed from the CM/ECF system and case file so that the Declaration
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(along with properly redacted Exhibits) may be re-filed with Plaintiff’s and other third
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parties’ personal information properly redacted.
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IT IS SO STIPULATED
DATED: June 6, 2011
HOYER & ASSOCIATES
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________/s/_______________
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David Lipps
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Attorney for Plaintiff
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DATED: June 6, 2011
MELINDA HAAG
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United States Attorney
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__________/s/______________
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Victoria R. Carradero
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Assistant United States Attorney
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Attorneys for Defendant
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STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED
DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. - Case No. 10-00625
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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.
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E. Hend
Thelton
Judge District Court Judge
United States
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ER
FO
The Honorable Thelton E. Henderson
erson
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______________________________
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06/07/2011
NO
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DATED:
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STIPULATION AND [PROPOSED] ORDER TO REMOVE INCORRECTLY FILED
DOCUMENT FROM DOCKET: DOCKET ENTRY NOS. 40 AND 50. - Case No. 10-00625
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