Joson v. The Permanente Medical Group, Inc.
Filing
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AMENDED ORDER DENYING re #17 Stipulation filed by Kaiser Foundation Health Plan, Inc.. Signed by Judge James Ware on 6/24/11. (sis, COURT STAFF) (Filed on 6/24/2011)
R NIA
S
ER
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UNITED STATES DISTRICT COURT
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D IS T IC T O
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NORTHERN DISTRICT OF CALIFORNIA
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FO
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Judge Ja
H
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Attorneys for Defendant
KAISER FOUNDATION HEALTH PLAN, INC.
RT
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es Ware
NO
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D
DENIE
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S DISTRICT
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TA
RT
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O
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KENNEDY P. RICHARDSON, Cal. Bar No. 62516
DAVID M. ROSENBERG-WOHL, Cal. Bar. No. 132924
MARION’S INN LLP
1611 Telegraph Avenue, Suite 707
Oakland, California 94612-2145
Telephone: (510) 451-6770
Facsimile: (510) 451-1711
Email: kpr@marionsinn.com
drw@marionsinn.com
UNIT
ED
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SAN FRANCISCO DIVISION
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LUCY JOSON
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Plaintiffs,
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vs.
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KAISER FOUNDATION HEALTH PLAN,
INC.; and Does 1 through 50, inclusive;
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Defendants.
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Case No. C V11-01018 JW
STIPULATION TO CONTINUE CASE
MANAGEMENT CONFERENCE AND
DEPENDENT DATES
[AND PROPOSED ORDER]
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Due to the fact that plaintiff’s first amended complaint has just been filed and served
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(Document No. 14, May 24, 2011) and that defendant has until July 25, 2011 to respond
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(Stipulation and Order, Document No. 11, May 20, 2011), the parties here stipulate to
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continue the Case Management Conference continued by this Court to July 11, 2011 (from June
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20, 2011) (Document No. 15, June 15, 2011), as well as the dependent date of filing a Joint Case
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Management Conference Statement by July 1, 2011 (Document No. 16, June 15, 2011). This
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stipulation is made at suggestion of the clerk of the Court in order to make the case management
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and preceding meet and confer process meaningful, since requiring the process before defendant
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STIPULATION TO CONTINUE CASE MANAGEMENT CONFERENCE AND DEPENDENT DATES
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CASE NO. 3:09CV05306-RS
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has made its response is unlikely to be fruitful; it is made pursuant to the Court’s Standing Order
Regarding Case Management in Civil Cases.
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In light of the timing of defendant’s response, as well as the schedule of the Court, the
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new case management conference date shall be Monday, October 17 at 10:00 a.m. at the United
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States Courthouse, 450 Golden Gate Avenue, San Francisco, California. As a consequence, the
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parties are to meet and confer regarding the matters of Rule 26(f)(2) on or before Monday,
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September 26, 2011, and the date of initial disclosure under Rule 26(a) shall be on or before
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Monday, October 10, 2011.
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DATED: June 15, 2011
MARION’S INN LLP
Digitally signed by David M.
Rosenberg-Wohl
David M.
DN: cn=David M. Rosenberg-Wohl,
o=Marion's Inn LLP, ou,
Rosenberg-Wohl email=drw@marionsinn.com, c=US
Date: 2011.06.17 13:32:54 -07'00'
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__________________________________________
David M. Rosenberg-Wohl
Attorneys for Defendant
KAISER FOUNDATION HEALTH PLAN, INC.,
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DATED: June 15, 2011
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STEVEN P. COHN, ESQ.
ADVOCACY CENTER FOR EMPLOYMENT
LAW
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/s/ by D. Rosenberg-Wohl
__________________________________________
Steven P. Cohn
Attorneys for Plaintiff
LUCY JOSON
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SO ORDERED
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DATED: June __, 2011
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_________________________________________
James Ware
United States District Chief Judge
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STIPULATION TO CONTINUE CASE MANAGEMENT CONFERENCE AND DEPENDENT DATES
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CASE NO. 3:09CV05306-RS
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