J & J Sports Productions Inc v. Lemus

Filing 52

ORDER by Magistrate Judge Bernard Zimmerman granting 50 Motion to Continue (bzsec, COURT STAFF) (Filed on 1/10/2012)

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1 2 3 4 Trevor Brandt McCann, SBN 243724 LAW OFFICES OF TREVOR BRANDT MCCANN 2279 Foxhill Drive, Suite 200 Martinez, CA 94553 Tel: 925-270-7058 TBM@tbmclaw.com Attorneys for Defendant/Third Party Plaintiff Sandra Guadalupe Lemus 5 6 7 8 9 Thomas P. Riley, SBN 194706 LAW OFFICES OF THOMAS P. RILEY, P.C. 1114 Fremont Avenue South Pasadena, CA 91030-3227 Tel: 626-799-9797 Fax: 626-799-9795 TPRLAW@att.net Attorneys for Plaintiff J & J Sports Productions, Inc. 10 11 12 13 14 15 Ryan Geoffrey Baker, SBN 214036 BAKER MARQUART, LLP 10990 Wilshire Blvd., Fourth Floor Los Angeles, CA 90024 Tel: 424-652-7800 Fax: 424-652-7850 RBAKER@bakermarquart.com Attorneys for Third Party Defendants DirecTV, Inc. 16 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION 17 18 J & J SPORTS PRODUCTIONS, INC., Case No. 3:10-CV-04170-CRB 19 Plaintiff, 24 DEFENDANT/THIRD PARTY DEFENDANT SANDRA GUADALUPE LEMUS, PLAINTIFF J & J SPORTS PRODUCTIONS, INC., AND THIRD PARTY DEFENDANT DIRECTV, INC.’S STIPULATION TO VACATE OR CONTINUE THE SETTLEMENT CONFERENCE; AND ORDER (Proposed) 25 DATE: Wednesday, January 18, 2012 20 21 22 23 26 v. SANDRA GUADALUPE LEMUS, et al., Defendant. TIME: 9:00 AM 27 28 Page 1 1 2 TO THE HONORABLE BERNARD ZIMMERMAN, THE PARTIES, AND THEIR ATTORNEY/S OF RECORD: 3 4 5 6 By and through their counsel, Defendant/Third Party Defendant Sandra Guadalupe Lemus, Plaintiff J & J Sports Productions, Inc., and Third Party Defendant DirecTV, Inc., hereby agree, stipulate, and respectfully request that this Honorable Court vacate or continue the January 18, 2012 Settlement Conference. 7 8 1. conflict as set forth below. 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 This request is necessitated by the fact that Defendant Sandra Lemus has a scheduling 2. Sandra Lemus is the sole proprietor of La Palapa Restaurant in Santa Rosa, California. Sandra Lemus operates La Palapa with her husband Mauricio Lemus. Sandra Lemus also employs individuals as cooks and wait staff. During the week of January 16 – 20, 2012, a number of Sandra Lemus’s employees will be on scheduled vacations. Her employees’ absences require Sandra Lemus and Mauricio Lemus to staff La Palapa personally from early-morning until late-evening. (Please see Letter from Sandra Lemus filed herewith as Exhibit 1.) /// /// /// /// /// /// /// /// /// /// /// /// /// 28 Page 2 WHEREFORE, The Parties respectfully request that this Honorable Court vacate or continue 1 2 the upcoming Settlement Conference presently scheduled for Wednesday, January 18, 2012. 3 4 Respectfully submitted, 5 6 7 Dated: January 10, 2012 8 9 10 /S/ Trevor McCann TREVOR BRANDT MCCANN By: Trevor Brandt McCann Attorneys for Defendant/Third Party Defendant Sandra Guadalupe Lemus 11 12 13 Dated: LAW OFFICES OF THOMAS P. RILEY By: Thomas P. Riley Attorneys for Plaintiff J & J Sports Productions, Inc. 14 15 16 17 18 Dated: January 10, 2012 19 20 21 /S/ Ryan Baker BAKER MARQUART, LLP By: Ryan Geoffrey Baker Attorneys for Third Party Defendant DirecTV, Inc. 22 23 /// 24 /// 25 /// 26 /// 27 /// 28 /// Page 3 ORDER (Proposed) 1 2 3 IT IS HEREBY ORDERED that the Settlement Conference deadline in civil action 3:10-CV- 4 04170-CRB styled J & J Sports Productions, Inc. v. Sandra Guadalupe Lemus is hereby continued 5 from January 18, 2012 to 6 7 IT IS SO ORDERED: . The settlement conference is continued to Monday, January 23, 2012 at 1:30 p.m. Settlement conference statements are due January 16, 2012. 8 9 Dated: January 10, 2012 10 13 THE HONORABLE BERNARD ZIMMERMAN United States District Court Northern District of California /// 14 /// 15 /// 11 12 16 /// /// 17 /// 18 /// 19 /// 20 /// 21 /// 22 /// 23 /// 24 /// 25 /// 26 27 /// /// /// 28 Page 4 1 CERTIFICATE OF SERVICE 2 I am employed in the County of Contra Costa, State of California. I am over the age of 18 years and not a party to the within action. My business address is 2279 Foxhill Drive, Suite 200, Martinez, California 94553. 3 4 5 6 7 On January 10, 2012, I caused a true and correct copy of the foregoing document described as: DEFENDANT/THIRD PARTY DEFENDANT SANDRA GUADALUPE LEMUS, PLAINTIFF J & J SPORTS PRODUCTIONS, INC., AND THIRD PARTY DEFENDANT DIRECTV, INC.’S STIPULATION TO VACATE OR CONTINUE THE SETTLEMENT CONFERENCE; AND ORDER (Proposed) 8 9 to be served on the parties to this action as follows: Electronic Service through the Court’s Electronic Case Files (ECF) system. 10 The following counsel currently receive email notices for this case through the ECF system. 11 12 SERVICE LIST 13 14 15 16 17 18 19 Thomas P. Riley LAW OFFICES OF THOMAS P. RILEY, P.C. First Library Square 1114 Fremont Avenue South Pasadena, CA 91030-3227 Attorney for J & J Sports Productions, Inc. Mr. Ryan Geoffrey Baker Baker Marquart, LLP 10990 Wilshire Blvd., Fourth Floor Los Angeles, CA 90024 rbaker@bakermarquart.com Attorneys for DirecTV, Inc. . 20 21 22 23 24 25 26 I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Dated: January 10, 2012 Signed: /s/ Trevor McCann Trevor McCann 27 28 Page 5

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