Paulick v. Starwood Hotels & Resorts Worldwide, Inc. et al

Filing 94

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)

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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 1 4 Attorneys for Plaintiff MICHAEL PAULICK 5 UNITED STATES DISTRICT COURT 6 NORTHERN DISTRICT OF CALIFORNIA 7 MICHAEL PAULICK CASE NO. C 10-01919 JCS Civil Rights 8 9 10 11 12 13 14 15 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. / 16 17 18 19 20 21 22 23 24 25 26 27 28 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 1 2 Plaintiff , by and through his attorney, and Defendants, by and through 3 their attorney, stipulate to a change of date from June 22, 2012 at 9:30 a.m. to 4 June 15, 2012 at 9:30 a.m. for the hearing on Defendants’ Motion To Dismiss 5 For Lack Of Subject Matter Jurisdiction and for the further case management 6 conference. 7 The parties further stipulate that this Stipulation may be signed in 8 counterparts and that facsimile or electronically transmitted signatures shall be as 9 valid and binding as original signatures. 10 11 It is so stipulated. Date: 4/10/12 SIDNEY J. COHEN PROFESSIONAL CORPORATION 12 /s/ Sidney J. Cohen 13 Sidney J. Cohen Attorney for Plaintiff Michael Paulick 14 15 16 Date: 4/10/12 GREENBERG TRAURIG 17 /s/ Gregory F. Hurley 18 Gregory F. Hurley Attorneys for Defendants Intrawest Napa Development Company, LLC, Intrawest Napa Riverbend Hospitality Management, LLC, And VY Verasa Commercial Company, LLC 19 20 21 DECLARATION OF SIDNEY J. COHEN 22 I, Sidney J. Cohen, declare: 23 1. I am counsel for Plaintiff in this action. I am an attorney in good 24 standing and licensed to practice in the courts of California, in the United States 25 District Courts for the Northern, Eastern, and Central Districts, in the United 26 States Court of Appeals for the Ninth Circuit, and in the United States Supreme 27 28 Stipulation, Declaration and [Proposed ]Order Change of Date for Hearings on Motion -1- 1 2 Court. If called upon to testify, I would testify as follows: 2. Pursuant to court Order, on April 3, 2012 the court changed the 3 date for the hearing on Defendants’ Motion To Dismiss For Lack Of Subject 4 Matter Jurisdiction and for the further case management conference from April 5 27, 2012 to June 22, 2012 (Docket # 75). 6 3. I will be out of the state on June 22, 2012 and will be unable to 7 appear at the hearing and further case management conference unless I have to 8 cancel my long standing plans. 9 10 4. A change of the date from June 22, 2012 to June 15, 2012 will not effect any other deadlines in the case. 11 I declare under penalty of perjury that the foregoing is true and correct. 12 Executed this 10th day of April, 2012 at Oakland, California. 13 /s/ Sidney J. Cohen 14 Sidney J. Cohen 15 ORDER 16 17 Having considered the parties’ Stipulation and the supporting Declaration, and for good cause shown, the court reschedules the Hearing on 19 Defendants’ Motion To Dismiss For Lack Of Subject Matter Jurisdiction and the 20 further case management conference from June 22, 2012 at 9:30 a.m. to June 15, 21 2012 at 9:30 a.m. IT IS SO ORDERED. Date: 4/17/12 H ER LI RT 25 FO NO 24 26 27 28 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 -2- A 23 UNIT ED 22 ISTRIC ES D TC AT T RT U O S 18 N F D IS T IC T O R C

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