Makreas v. First National Bank of Northern California et al

Filing 81

ORDER GRANTING e 80 STIPULATION re Request to Extend Time to Complete Mediation. Signed by Judge JEFFREY S. WHITE on 8/10/12. (jjoS, COURT STAFF) (Filed on 8/10/2012)

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Case3:11-cv-02234-JSW Document80 Filed08/09/12 Page1 of 4 1 JOHN F. FRIEDEMANN (SBN 115632) jfriedemann@frigolaw. com 2 STEPHANIE BARBER HESS (SBN 204321) shess@frigolaw. com 3 JOHN N. MACLEOD (SBN 269073) jmacleod@frigolaw. com 4 FRIEDEMANN GOLDBERG LLP 420 Aviation Boulevard, Suite 201 5 Santa Rosa, California 95403 Telephone: (707) 543-4900 6 Facsimile: (707) 543-4910 7 Attorneys for Defendants FIRST NATIONAL BANK OF 8 NORTHERN CALIFORNIA, KATHY CASTOR, and RANDY BRUGIONI 9 10 UNITED STATES DISTRICT COURT 11 FOR THE NORTHERN DISTRICT OF CALIFORNIA 12 CASE NO. CV-11-02234 JSW 13 NICK MAKREAS, 14 15 Plaintiff, v. 16 FIRST NATIONAL BANK OF NORTHERN 17 CALIFORNIA, a business entity, Form Unknown; T.D. SERVICE COMPANY a 18 business entity, Form Unknown; KATHY CASTOR, an individual; RANDY BRUGIONI, 19 an individual; COUNTY OF SAN MATEO; SAN MATEO COUNTY SHERIFF'S OFFICE; SAN 20 MATEO COUNTY SHERIFF GREG MUNKS, in his individual and official capacity; SAN 21 MATEO COUNTY SHERIFF'S DEPUTY STEPHEN DUVALL, in his individual and 22 official capacity; SAN MATEO COUNTY SHERIFF'S DEPUTY HOSS, in his individual 23 and official capacity; SAN MATEO COUNTY SHERIFF'S DEPUTY VALENCIA, in his 24 individual and official capacity; Employees DOES 1 through 25 INCLUSIVE, in their 25 individual and official capacity; and DOES 26 through 50 INCLUSIVE, et al., HONORABLE JEFFREY S. WHITE STIPULATION RE REQUEST TO EXTEND TIME TO COMPLETE MEDIATION; [PROPOSED] ORDER THEREON 26 Defendants. 27 28 {00239941.DOC;vl} CV-11-02234 JSW STIPULATION RE REQUEST TO EXTEND TIME TO COMPLETE MEDIATION; [PROPOSED] ORDER THEREON Case3:11-cv-02234-JSW Document80 Filed08/09/12 Page2 of 4 1 2 This stipulation is entered into by Defendants First National Bank of Northern California, Kathy Castor, and Randy Brugioni, T.D. Service Company, and PlaintiffNick Makreas 3 (collectively "Parties") by and through their respective counsel of record. 4 FACTUAL RECITALS 5 This Stipulation is entered into in reference to the following facts: 6 1. On June 29, 2012, the Parties appeared at a Case Management Conference in this 7 matter during which the Court ordered the Parties to participate in Court Mediation 8 to be completed by September 27, 2012; 9 2. J. Daniel Sharp was assigned as the mediator in this matter; and 10 3. On August 1, 2012, the Parties participated in a conference call with J. Daniel 11 Sharp and agreed to participate in mediation of this matter on October 1, 2012. STIPULATION 12 13 I light ofthe foregoing facts, the Parties agree as follows: 14 1. 15 The deadline to complete mediation should be continued up to and including October 5, 2012. 16 SO STIPULATED. 17 0\ DATED: August_, 2012 FRIEDEMANN GOLDBERG LLP 18 By~ยท(Ow_ll--JOIINN.MACLEOD ~~~\.~.\:\e..~\ 19 20 Attorneys for Defendants FIRST NATIONAL BANK OF NORTHERN CALIFORNIA, KATHY CASTOR, and RANDY BRUGIONI 21 22 23 DATED: August_, 2012 24 THE DREYFUSS FIRM, a Professional Law Corporation 25 By: 26 Attorneys for Defendant T.D. SERVICE COMPANY 27 28 ~L~A~W==R=EN~c=E~J~.D=R=E=Y~F=u=s=s~----- CV-II-02234JSW STIPULATION RE REQUEST TO EXTEND TIME TO COMPLETE MEDIATION; [PROPOSED] ORDER THEREON {00239941.DOC;vl} Case3:11-cv-02234-JSW Document80 Filed08/09/12 Page3 of 4 1 2 This stipulation is entered into by Defendants First National Bank ofNorthern California, Kathy Castor, and Randy Brugioni, T.D. Service Company, and Plaintiff Nick Makreas 3 (collectively "Parties") by and through their respective counsel of record. 4 FACTUAL RECITALS 5 This Stipulation is entered into in reference to the following facts: 6 1. On June 29, 2012, the Parties appeared at a Case Management Conference in this 7 matter during which the Court ordered the Parties to participate in Court Mediation 8 to be completed by September 27, 2012; 9 2. J. Daniel Sharp was assigned as the mediator in this matter; and 10 3. On August 1, 2012, the Parties participated in a conference call with J. Daniel Sharp and agreed to participate in mediation of this matter on October 1, 2012. 11 12 STIPULATION 13 I light of the foregoing facts, the Parties agree as follows: 14 1. 15 16 The deadline to complete mediation should be continued up to and including October 5, 2012. SO STIPULATED. FRIEDEMANN GOLDBERG LLP By: ~J~O=HN~N~.-M~A~c=.L~E~o=o~---------- Attorneys for Defendants FIRST NATIONAL BANK OF NORTHERN CALIFORNIA, KATHY CASTOR, and RANDY BRUGIONT THE DREYFUSS FIRM, a Professional Law Corporation ( By 28 ' / ~~t~;;{~ X!d.v:l&s:c,~ /~ T.D. SERVICE COMPANY {0023994l.DOC;vl} CV-11-02234 JSW STIPULATION RE REQUEST TO EXTEND TIME TO COMPLETE MEDIATION; [PROPOSED] ORDER THEREON Case3:11-cv-02234-JSW Document80 Filed08/09/12 Page4 of 4 1 DATED: August~ 2012 THE GOODELL LAW FIRM 2 3 LL 4 5 6 7 PURSUANT TO STIPULATION, IT IS SO ORDERED. 8 9 Dated: August 10, 2012 UNITED STATES DISTRICT COURT JUDGE 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 {00239941.DOC:v I) CV -I 1-02234 JS W STIPULATION RE REQUEST TO EXTEND TIME TO COMPLETE MEDIATION; [PROPOSED] ORDER THEREON II I

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