Trustees of the Bricklayers Local No. 3 Pension Trust et al v. Straight Line Caulking & Waterproofing, Inc. et al

Filing 6

ORDER extending time to respond to complaint re 3 Stipulation filed by Lincoln General Insurance Company. Signed by Judge Charles R. Breyer on 4/1/2010. (be, COURT STAFF) (Filed on 4/5/2010)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 WATT, TIEDER, HOFFAR & FITZGERALD, L.L.P. A T T O R N E Y S A T LAW BENNETT J. LEE (Bar No. 230482) blee@wthf.com SARA K. HAYDEN (Bar No. 262922) shayden@wthf.com WATT, TIEDER, HOFFAR & FITZGERALD, L.L.P. 333 Bush Street, Suite 1500 San Francisco, California 94104 Telephone 415-623-7000 Facsimile 415-623-7001 Attorneys for Defendant LINCOLN GENERAL INSURANCE COMPANY UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION TRUSTEES OF THE BRICKLAYERS LOCAL NO. 3 PENSION TRUST; TRUSTEES OF THE BRICKLAYERS LOCAL 7 PENSION TRUST; TRUSTEES OF THE BRICKLAYERS LOCAL NO. 3 HEALTH AND WELFARE TRUST; TRUSTEES OF THE BRICKLAYERS AND ALLIED CRAFTS LOCAL NO. 3 APPRENTICE TRAINING TRUST; INTERNATIONAL UNION OF BRICKLAYERS AND ALLIED CRAFTWORKERS AFL-CIO, LOCAL UNION NO. 3, on behalf of itself and as agent for its members; TRUSTEES OF THE INTERNATIONAL UNION OF BRICKLAYERS AND ALLIED CRAFTWORKERS PENSION FUND, Plaintiffs, v. STRAIGHT LINE CAULKING & WATERPROOFING, INC., a California corporation; LINCOLN GENERAL INSURANCE COMPANY, a Pennsylvania corporation; GREAT AMERICAN INSURANCE COMPANY, an Ohio corporation, Defendants. Case No. CV 10-0915 CRB STIPULATION EXTENDING DEFENDANT LINCOLN GENERAL INSURANCE COMPANY'S TIME TO RESPOND TO COMPLAINT /// STIPULATION EXTENDING LINCOLN'S TIME TO RESPOND TO COMPLAINT 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 TO THE COURT, ALL PARTIES, AND THEIR COUNSEL OF RECORD HEREIN: Pursuant to local rule 6-1.(a), Defendant LINCOLN GENERAL INSURANCE COMPANY, a Pennsylvania corporation, by and through its counsel of record, Sara K. Hayden of Watt, Tieder, Hoffar & Fitzgerald L.L.P., and Plaintiffs TRUSTEES OF THE BRICKLAYERS LOCAL NO. 3 PENSION TRUST; TRUSTEES OF THE BRICKLAYERS LOCAL 7 PENSION TRUST; TRUSTEES OF THE BRICKLAYERS LOCAL NO. 3 HEALTH AND WELFARE TRUST; TRUSTEES OF THE BRICKLAYERS AND ALLIED CRAFTS LOCAL NO. 3 APPRENTICE TRAINING TRUST; INTERNATIONAL UNION OF BRICKLAYERS AND ALLIED CRAFTWORKERS AFL-CIO, LOCAL UNION NO. 3, on behalf of itself and as agent for its members; and TRUSTEES OF THE INTERNATIONAL UNION OF BRICKLAYERS AND ALLIED CRAFTWORKERS PENSION FUND (collectively "Plaintiffs") by and through their counsel of record, Kent Khtikian of Katzenbach and Khtikian HEREBY STIPULATE AND AGREE THAT: Defendants shall have additional time, from April 1, 2010, up to and including May 3, 2010, within which to respond to the Complaint on file herein. The purpose of the stipulated extension of time is to allow the parties an opportunity for a potential negotiated resolution of the underlying dispute. Dated: March 31, 2010 WATT, TIEDER, HOFFAR & FITZGERALD, L.L.P. By: /s/ Sara K. Hayden Bennett J. Lee (blee@wthf.com) Sara K. Hayden (shayden@wthf.com) Attorneys for Defendant LINCOLN GENERAL INSURANCE COMPANY UNIT ED 25 S TA ICT S Dated: March 31, 2010 TE C DISTR KATZENBACH AND KHTIKIAN By: /s/ Kent Khtikian Kent Khtikian (khtikian@kkcounsel.com) Attorneys for Plaintiffs 27 28 A T T O R N E Y S A T LAW N F D IS T IC T O R A WATT, TIEDER, HOFFAR & FITZGERALD, L.L.P. FO har Judge C r les R. B eyer R NIA 26 IT IS DERE SO OR D RT U O LI NO RT ER C -2- STIPULATION EXTENDING LINCOLN'S TIME TO RESPOND TO COMPLAINT H

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