Arch Insurance Company v. Mitchell Engineering Company et al

Filing 97

ORDER Further Case Management Conference set for 9/30/2011 03:00 PM. (tf, COURT STAFF) (Filed on 7/15/2011)

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1 2 3 4 5 6 JAMES DIWIK (STATE BAR NO. 164016) MATTHEW FISCHER (STATE BAR NO. 191451) Sedgwick LLP One Market Plaza, Steuart Tower, 8th Floor San Francisco, CA 94105-1008 Telephone: 415.781.7900 Facsimile: 415.781.2635 james.diwik@sedgwicklaw.com david.mangini@sedgwicklaw.com Attorneys for Plaintiff/Counter-Defendant ARCH INSURANCE COMPANY 7 8 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 13 ARCH INSURANCE COMPANY, Plaintiff, 14 15 16 17 18 19 20 21 22 v. MITCHELL ENGINEERING COMPANY, a California Corporation; S.F. EQUIPMENT, a California Corporation; S.F. HOLDINGS INC., a California Corporation; MICHAEL SILVA, an individual; STEPHANIE SILVA, an individual; CURTIS F. MITCHELL, an individual; CRYSTAL MITCHELL, an individual; CURTIS F. MITCHELL in his capacity as TRUSTEE OF THE CURTIS F. MITCHELL FAMILY TRUST; MACDONALD AUXILIARY CORPORATION, solely in its capacity as trustee, Defendants. Case No. CV 10 04558–SI [PROPOSED] ORDER GRANTING JOINT NOTICE OF TENTATIVE SETTLEMENT AGREEMENT AND STIPULATION CONTINUING THE INITIAL CASE MANAGEMENT CONFERENCE AND THE HEARINGS ON CCSF'S MOTION TO DISMISS FIRST AMENDED COUNTERCLAIM, MEC DEFENDANTS’ RENEWED MOTION FOR STAY OF PROCEEDINGS AND ARCH INSURANCE COMPANY’S MOTION FOR MORE DEFINITE STATEMENT 23 Honorable Susan Illston 24 Complaint Filed: October 7, 2010 25 AND RELATED COUNTERCLAIMS. 26 27 28 [PROPOSED] ORDER GRANTING JOINT NOTICE OF TENTATIVE SETTLEMENTAGREEMENT AND STIPULATION CONTINUING THE INITIAL CMC AND HEARINGS SF/2280626v1 ORDER 1 2 PURSUANT TO THE FOREGOING STIPULATION, IT IS ORDERED THAT the 3 initial case management conference, as well as CCSF’s Motion to Dismiss First Amended 4 Counterclaim Against City and County of San Francisco Pursuant to Federal Rule of Civil 5 Procedure 12(B)(6), MEC Defendants’ Renewed Motion for Stay of Proceedings Based on New 6 Law and Facts and Arch’s More Definite Statement of the Fourth and Fifth Causes of Action in 7 the First Amended Counterclaim, currently set for July 29, 2011, are continued to September 30, 8 2011 at 9:00 a.m. 9 PURSUANT TO STIPULATION, IT IS SO ORDERED. 10 11 3:00 p.m. 7/14/11 Dated: _____________________, 2011 Hon. Susan Illston United States District Judge 12 13 The motions are ordered withdrawn and shall be refiled if necessary. 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2 [PROPOSED] ORDER GRANTING JOINT NOTICE OF TENTATIVE SETTLEMENTAGREEMENT AND STIPULATION CONTINUING THE INITIAL CMC AND HEARINGS SF/2280626v1

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