Gardner v. City of Berkeley et al

Filing 6

STIPULATION AND ORDER RESETTING CMC re 4 Stipulation filed by David Hodgkins, City of Berkeley Case Management Conference set for 12/1/2010 01:30 PM in Courtroom C, 15th Floor, San Francisco.. Signed by Judge Edward M. Chen on 10/18/10. (bpf, COURT STAFF) (Filed on 10/18/2010)

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Gardner v. City of Berkeley et al Doc. 6 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 ZACH COWAN, City Attorney MARK J. ZEMBSCH, Deputy City Attorney MZembsch@ci.berkeley.ca.us 2180 Milvia Street, Fourth Floor Berkeley, CA 94704 TEL.: (510) 981-6998 FAX.: (510) 981-6960 Attorneys for Defendants CITY OF BERKELEY and DAVID HODGKINS DAVID M. POORE KAHN BROWN & POORE LLP DPoore@kahnbrownlaw.com 2200 Powell St., Suite 745 Emeryville, California 94608 TEL: (510) 923-6280 FAX: (510) 923-6285 Attorneys for Plaintiff TIMOTHY GARDNER SBN 96372 SBN 127901 SBN 192541 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA TIMOTHY GARDNER, Plaintiff, vs. CITY OF BERKELEY, DAVID HODGKINS; DOUG HAMBLETON; ROY MEISNER; BOBBY MILLER, Defendants. NO. C10-03410 EMC STIPULATION AND [PROPOSED] ORDER TO EXTEND DATE FOR ADR AND CONTINUE CASE MANAGEMENT CONFERENCE Complaint Filed: June 25, 2010 Removed to Federal Court: Aug. 3, 2010 STIPULATION The parties hereby stipulate through there undersigned counsel that the (1) last day to meet and confer re initial disclosures, early settlement, and the ADR process selection, and discovery plan, (2) file ADR Certification and (3) file either Stipulation to ADR Process or Notice of Need for ADR Phone Conference be extended from October 27, 2010 to November 10, 2010. 1 STIPULATION AND [PROPOSED] ORDER TO EXTEND DATE FOR ADR AND CONTINUE CASE MANAGEMENT CONFERENCE ~ C10-03410 EMC Dockets.Justia.com 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 The parties also stipulate that the last day to file Rule 26(f) Report, complete initial disclosures or state objection in Rule 26(f) Report and file the Joint Case Management Statement be continued from November 10, 2010 to November 24, 2010. The parties also stipulate that the next Case Management Conference be continued from November 17, 2010 to December 1, 2010. There is good cause for the stipulation to extend time as follows: Mark Zembsch is the primary attorney representing defendants in this case. Mr. Zembsch will be completely unavailable from October 21 through November 1, 2010, as he will be on the east coast attending to a family member's surgery. Further, Mr. Zembsch has an annual professional commitment out of the local area November 17-19, 2010. Respectfully submitted: ZACH COWAN, City Attorney MARK J. ZEMBSCH, Deputy City Attorney Dated: October 5, 2010. By: /s/ MARK J. ZEMBSCH, Deputy City Attorney Attorneys for City of Berkeley and David Hodgkins Respectfully submitted: KAHN BROWN & POORE LLP Dated: October 5, 2010. By: /s/ DAVID M. POORE Attorney for Plaintiff Timothy Gardner ORDER THE FOREGOING STIPULATION IS APPROVED AND IS SO ORDERED. UNIT ED S S DISTRICT TE C TA 10/18/10 DATE: _________________________ STIPULATION AND [PROPOSED] ORDER TO EXTEND DATE FOR ADR AND CONTINUE CASE MANAGEMENT CONFERENCE ~ C10-03410 EMC E RN F A C LI FO EDWARD M. CHEN United States Magistrate Judge Chen ard M. dge Edw Ju 2 R NIA O OR IT IS S DERED RT U O NO RT H

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