Yates v. Napa Valley Petroleum Inc et al

Filing 9

STIPULATION AND ORDER EXTENDING TIME TO ANSWER re 8 Stipulation filed by Craig Yates. Signed by Judge Edward M.Chen on 12/21/10. (bpf, COURT STAFF) (Filed on 12/21/2010)

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Yates v. Napa Valley Petroleum Inc et al Doc. 9 1 2 3 4 5 6 THOMAS E. FRANKOVICH (State Bar No. 074414) THOMAS E. FRANKOVICH, A PROFESSIONAL LAW CORPORATION 4328 Redwood Hwy., Suite 300 San Rafael, CA 94903 Telephone: 415/674-8600 Facsimile: 415/674-9900 Attorneys for Plaintiff CRAIG YATES UNITED STATES DISTRICT COURT 7 NORTHERN DISTRICT OF CALIFORNIA 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Pursuant to Local Rule 6.1(a), Plaintiff CRAIG YATES, and Defendant NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940, by and through their respective counsel, respectfully request and make the following stipulation: 1. Whereas, defendant NAPA VALLEY PETROLEUM, INC., a California CRAIG YATES, an individual, ) ) Plaintiff, ) ) v. ) ) NAPA VALLEY PETROLEUM, INC., a ) California Corporation dba SALVADOR ) ) EXXON, a.k.a., CHEVRON STN ) 00305940; and GELOW, INC., a California ) ) Corporation, ) ) Defendants. ___________________________________ ) CASE NO. CV-10-4421-EMC STIPULATION EXTENDING TIME FOR DEFENDANT NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 TO RESPOND TO PLAINTIFF'S COMPLAINT ORDER Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 was served with the summons and complaint on November 12, 2010, via personal-service. Its answer to the complaint is currently due on December 3, 2010. /// STIPULATION EXTENDING TIME FOR DEFENDANT NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 RESPOND TO PLAINTIFF'S COMPLAINT CV-10-4421-EMC Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 2. Whereas, defendant NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 has retained counsel and requested additional time to respond to plaintiff's complaint; 3. Whereas, the parties are currently trying to negotiate a settlement in the above- referenced case, and wish to reduce fees, costs and litigation expenses in so doing; 4. Whereas, the parties believe it would be in the interests of efficiency and economy to extend the deadline for defendant NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 to respond to the complaint, and to allow time to negotiate an agreement; 5. Whereas, plaintiff has agreed to grant additional time for defendant NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 to respond to the complaint; and 6. Whereas, defendant's counsel further stipulates that defendant will comply with 14 any and all due dates dictated by the Federal Rules of Civil Procedure, the Local Rules of Court, 15 and/or any scheduling order issued by this court prior to the date on which defendant's responsive 16 pleading is due. 17 /// 18 /// 19 /// 20 /// 21 /// 22 /// 23 /// 24 /// 25 /// 26 /// 27 /// 28 /// STIPULATION EXTENDING TIME FOR DEFENDANT NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 RESPOND TO PLAINTIFF'S COMPLAINT CV-10-4421-EMC 2 1 2 IT IS STIPULATED: That the last day for defendant NAPA VALLEY PETROLEUM, INC., a California 3 Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940, to answer or 4 otherwise respond to plaintiff's complaint be extended up to and including January 17, 2011. 5 6 7 8 Dated: December 3, 2010 9 10 11 12 13 14 Dated: December 3, 2010 15 16 17 18 19 20 21 22 23 24 25 26 27 28 CAMERON SCOTT KIRK, SPAULDING MCCULLOUGH & TANSIL LLP By: ___________/s/_______________________ Cameron Scott Kirk Attorney for Defendant NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 By: __________/s/________________________ Thomas E. Frankovich Attorneys for Plaintiff CRAIG YATES, an individual THOMAS E. FRANKOVICH, A PROFESSIONAL LAW CORPORATION Respectfully submitted, ER N F D IS T IC T O R STIPULATION EXTENDING TIME FOR DEFENDANT NAPA VALLEY PETROLEUM, INC., a California Corporation dba SALVADOR EXXON, a.k.a., CHEVRON STN 00305940 RESPOND TO PLAINTIFF'S COMPLAINT CV-10-4421-EMC A C LI FO ERED ________________ O ORD S Edward M. Chen IT IS U.S. Magistrate Judge hen rd M. C ge Edwa Jud NO UNIT ED S S DISTRICT TE C IT IS SO ORDERED A T R NIA RT U O RT H 3

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