Morse v. Regents of the University of California, Berkeley et al
Filing
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ORDER Re: Tolling Statute of Limitations (tf, COURT STAFF) (Filed on 7/7/2011)
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Terry Gross (terry@gba-law.com) (103878)
Adam C. Belsky (adam@gba-law.com) (147800)
Monique Alonso (monique@gba-law.com) (127078)
Sarah Crowley (sarah@gba-law.com) (273663)
GROSS BELSKY ALONSO LLP
180 Montgomery Street, Suite 2200
San Francisco, California 94104
Telephone: (415) 544-0200
Facsimile: (415) 544-0201
David Greene (dgreene@thefirstamendment.org) (160107)
THE FIRST AMENDMENT PROJECT
1736 Franklin Street, 9th Floor
Oakland, CA 94612
Telephone: (510) 208-7744
Facsimile: (510) 208-4562
Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
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DAVID MORSE,
Plaintiff,
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vs.
REGENTS OF THE UNIVERSITY OF
CALIFORNIA; UNIVERSITY OF
CALIFORNIA AT BERKELEY POLICE
DEPARTMENT; UNIVERSITY OF
CALIFORNIA AT BERKELEY POLICE
CHIEF MITCHELL CELAYA;
UNIVERSITY OF CALIFORNIA AT
BERKELEY POLICE OFFICER
DETECTIVE NICOLE MILLER;
UNIVERSITY OF CALIFORNIA AT
BERKELEY POLICE OFFICER
DETECTIVE REICH; UNIVERSITY OF
CALIFORNIA AT BERKELEY POLICE
OFFICER SERGEANT HARRIS;
UNIVERSITY OF CALIFORNIA AT
BERKELEY POLICE OFFICER
WYKOFF; and UNIVERSITY OF
Case No.: C 10-5594
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STIPULATION AND AGREEMENT TO
TOLL THE STATUTE OF LIMITATIONS
AS TO CLAIMS AGAINST THE
COUNTY OF ALAMEDA, ALAMEDA
COUNTY SHERIFF’S DEPARTMENT,
ALAMEDA COUNTY SHERIFF
GREGORY AHERN, THE CITY OF
BERKELEY, AND CITY OF BERKELEY
POLICE CHIEF MICHAEL MEEHAN
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STIPULATION AND AGREEMENT TO TOLL STATUTE OF LIMITATIONS, CASE NO. C10-5594
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CALIFORNIA AT BERKELEY POLICE
OFFICER MANCHESTER et. al.,
Defendants.
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WHEREAS on February 4, 2011, the signatories stipulated and agreed that any statute of
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limitations governing any claim by plaintiff David Morse against the County of Alameda, the
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Alameda County Sheriff’s Department, Alameda County Sheriff Gregory Ahern, the City of
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Berkeley, and City of Berkeley Police Chief Michael Meehan would be tolled for a period beginning
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on February 4, 2011, and ending July 4, 2011,
IT IS HEREBY STIPULATED AND AGREED BY AND AMONG THE
SIGNATORIES HERETO THROUGH THEIR UNDERSIGNED COUNSEL:
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Any statute of limitations governing any claim against the County of Alameda, Alameda
County Sheriff’s Department, Alameda County Sheriff Gregory Ahern, the City of Berkeley, and
City of Berkeley Police Chief Michael Meehan shall be tolled for an additional period beginning on
June 30, 2011, and extending through September 30, 2011.
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Dated: June 30, 2011
GROSS BELSKY ALONSO LLP
By: /s/ Sarah Crowley
Sarah Crowley
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.
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Dated: June 30, 2011
THE FIRST AMENDMENT PROJECT
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By: /s/ David Greene
David Greene
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.
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STIPULATION AND AGREEMENT TO TOLL STATUTE OF LIMITATIONS, CASE NO. C10-5594
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Attorneys for Plaintiff
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Dated: June 30, 2011
RICHARD KARLSSON, County Counsel
in and for the County of Alameda, State of
California
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By:
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/s/ Todd A. Boley
Todd A. Boley
Deputy County Counsel
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Attorney for the County of Alameda,
Alameda County Sheriff’s Department and
Alameda County Sheriff Gregory Ahern
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Dated: June 30, 2011
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ER
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R NIA
FO
Illston
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usan
Judge S
/s/ Zach Cowan
Zach Cowan
Attorney for the City of Berkeley and Police
Chief Michael Meehan
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ORDER
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NO
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O
IT IS S
By:
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UNIT
ED
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S DISTRICT
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RT
U
O
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S
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ZACH COWAN, Berkeley City Attorney
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N
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D IS T IC T O
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C
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STIPULATION AND AGREEMENT TO TOLL STATUTE OF LIMITATIONS, CASE NO. C10-5594
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GENERAL ORDER 45 ATTESTATION
I, Sarah Crowley, am the ECF user whose ID and password are being used to file this
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declaration. In compliance with General Order 45, X.B., I hereby attest that David A. Greene,
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Todd A. Boley, and Zach Cowan concurred in the filing of this document with their electronic
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signatures.
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DATED: June 30, 2011
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_______/s/___________
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Sarah A. Crowley
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STIPULATION AND AGREEMENT TO TOLL STATUTE OF LIMITATIONS, CASE NO. C10-5594
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