Paulick v. Starwood Hotels & Resorts Worldwide, Inc. et al
Filing
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STIPULATION AND ORDER as to 70 MOTION to Dismiss Motion to Dismiss for Lack of Subject Matter Jurisdiction. Motion Hearing re-set for 6/15/2012 09:30 AM in Courtroom G, 15th Floor, San Francisco before Magistrate Judge Joseph C. Spero. Further Case Management Conference re-set for 6/15/2012 09:30 AM. Signed by Judge Joseph C. Spero on 4/17/12. (klhS, COURT STAFF) (Filed on 4/17/2012)
SIDNEY J. COHEN, ESQ., State Bar No. 39023
SIDNEY J. COHEN PROFESSIONAL CORPORATION
2 427 Grand Avenue
Oakland, CA 94610
3 Telephone: (510) 893-6682
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Attorneys for Plaintiff
MICHAEL PAULICK
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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MICHAEL PAULICK
CASE NO. C 10-01919 JCS
Civil Rights
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V.
Plaintiff,
STARWOOD HOTELS &
RESORTS WORLDWIDE, INC.;
INTRAWEST NAPA
DEVELOPMENT COMPANY,
LLC;INTRAWEST NAPA
RIVERBEND HOSPITALITY
MANAGEMENT, LLC;
VY VERASA COMMERCIAL
COMPANY, LLC and DOES 1-25,
Inclusive,
Defendants.
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Stipulation, Declaration and [Proposed ]Order
Change of Date for Hearings on Motion
STIPULATION, DECLARATION,
AND [PROPOSED] ORDER FOR
CHANGE OF DATE FOR HEARING
ON MOTION TO DISMISS AND
FOR FURTHER CASE
MANAGEMENT CONFERENCE
(Local Rule 6-2)
STIPULATION
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Plaintiff , by and through his attorney, and Defendants, by and through
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their attorney, stipulate to a change of date from June 22, 2012 at 9:30 a.m. to
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June 15, 2012 at 9:30 a.m. for the hearing on Defendants’ Motion To Dismiss
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For Lack Of Subject Matter Jurisdiction and for the further case management
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conference.
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The parties further stipulate that this Stipulation may be signed in
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counterparts and that facsimile or electronically transmitted signatures shall be as
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valid and binding as original signatures.
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It is so stipulated.
Date: 4/10/12
SIDNEY J. COHEN
PROFESSIONAL CORPORATION
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/s/ Sidney J. Cohen
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Sidney J. Cohen
Attorney for Plaintiff Michael Paulick
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Date: 4/10/12
GREENBERG TRAURIG
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/s/ Gregory F. Hurley
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Gregory F. Hurley
Attorneys for Defendants Intrawest Napa
Development Company, LLC, Intrawest
Napa Riverbend Hospitality Management,
LLC, And VY Verasa Commercial
Company, LLC
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DECLARATION OF SIDNEY J. COHEN
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I, Sidney J. Cohen, declare:
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1.
I am counsel for Plaintiff in this action. I am an attorney in good
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standing and licensed to practice in the courts of California, in the United States
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District Courts for the Northern, Eastern, and Central Districts, in the United
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States Court of Appeals for the Ninth Circuit, and in the United States Supreme
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Stipulation, Declaration and [Proposed ]Order
Change of Date for Hearings on Motion
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Court. If called upon to testify, I would testify as follows:
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Pursuant to court Order, on April 3, 2012 the court changed the
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date for the hearing on Defendants’ Motion To Dismiss For Lack Of Subject
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Matter Jurisdiction and for the further case management conference from April
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27, 2012 to June 22, 2012 (Docket # 75).
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3.
I will be out of the state on June 22, 2012 and will be unable to
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appear at the hearing and further case management conference unless I have to
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cancel my long standing plans.
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4.
A change of the date from June 22, 2012 to June 15, 2012 will not
effect any other deadlines in the case.
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I declare under penalty of perjury that the foregoing is true and correct.
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Executed this 10th day of April, 2012 at Oakland, California.
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/s/ Sidney J. Cohen
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Sidney J. Cohen
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ORDER
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Having considered the parties’ Stipulation and the supporting
Declaration, and for good cause shown, the court reschedules the Hearing on
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Defendants’ Motion To Dismiss For Lack Of Subject Matter Jurisdiction and the
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further case management conference from June 22, 2012 at 9:30 a.m. to June 15,
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2012 at 9:30 a.m.
IT IS SO ORDERED.
Date: 4/17/12
H
ER
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FO
NO
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R NIA
_____________________________
Joseph C. Spero
Spero
seph C.
United StatesgeMagistrate Judge
Jud Jo
Stipulation, Declaration and [Proposed ]Order
Change of Date for Hearings on Motion
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