Righetti v. California Department of Corrections and Rehabilitation et al

Filing 195

STIPULATION AND ORDER re 194 STIPULATION WITH PROPOSED ORDER to Extend Time to Conduct Settlement Conference filed by Marcella Zuniga, Duc Nguyen Case Management Statement due by 4/17/2014. Further Case Management Conference set for 4/24/2014 10:30 AM in Courtroom 5, 17th Floor, San Francisco.. Signed by Judge Edward M. Chen on 3/12/14. (bpf, COURT STAFF) (Filed on 3/12/2014)

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1 2 3 4 5 6 7 KAMALA D. HARRIS Attorney General of California JOHN P. DEVINE Supervising Deputy Attorney General MICAH C. E. OSGOOD Deputy Attorney General State Bar No. 255239 455 Golden Gate Avenue, Suite 11000 San Francisco, CA 94102-7004 Telephone: (415) 703-5593 Fax: (415) 703-5480 E-mail: Mike.Osgood@doj.ca.gov Attorneys for Dr. Nguyen & Zuniga 8 IN THE UNITED STATES DISTRICT COURT 9 FOR THE NORTHERN DISTRICT OF CALIFORNIA 10 SAN FRANCISCO DIVISION 11 12 GERALD S. RIGHETTI, 13 14 15 16 v. DR. DUC V. NGUYEN ET AL., 17 CV 11-2717 EMC Plaintiff, STIPULATION TO EXTEND TIME TO CONDUCT SETTLEMENT CONFERENCE Courtroom: 5 (17th Floor) Judge: Hon. Edward M. Chen Trial Date: None Set Defendants. Action Filed: June 6, 2011 Pursuant to Local Rule 6-2, Plaintiff Gerald S. Righetti and Defendants Nguyen, Zuniga, 18 19 and Richman, by and through their counsel, stipulate to and request the Court to extend the 20 deadline to conduct a settlement conference before Magistrate Judge Westmore through April 7, 21 2014. See ECF No. 191. The Court had previously set a thirty-day deadline, which would expire 22 on March 8. See id. The first mutually available day for the parties to conduct the settlement 23 conference, including with a representative from the Department of Corrections and 24 Rehabilitation, is April 7, 2014. The parties were ordered to appear for a CMC on March 27, 25 2014, with a joint statement due March 20. The parties also request to move that CMC to April 26 17, 2014, with a updated joint statement due on April 10, 2014, to account for a later settlement 27 conference. There has been one prior request to extend these deadlines, which was withdrawn 28 after a conflict was discovered. See ECF Nos. 192 & 193. There are no other deadlines. 24 17 1 Stipulation to Extend M.S.C. & C.M.C. Deadlines (CV 11-2717 EMC) 1 Dated: March 3, 2014 Respectfully submitted, 2 KAMALA D. HARRIS Attorney General of California JOHN P. DEVINE Supervising Deputy Attorney General 3 4 5 /s/ Micah C.E. Osgood 6 MICAH C. E. OSGOOD Deputy Attorney General Attorneys for Defendants Nguyen & Zuniga 7 8 Dated: March 3, 2014 Respectfully submitted, 9 10 /s/ Rachel P. Zuraw* 11 RACHEL P. ZURAW O’Melveny & Myers LLP Attorneys for Plaintiff Gerald S. Righetti 12 13 Dated: March 3, 2014 Respectfully submitted, 14 15 /s/ Robert Sanford* 16 ROBERT SANFORD Supple & Canvel, LLP Attorneys for Defendant Dr. Richman 17 18 PURSUANT TO STIPULATION, IT IS SO ORDERED. (as modified above). 19 DATE: _________ 3/12/14 S 22 23 28 FO LI H 27 RT 26 ER dward M Judge E Hon. Edward M. Chen U.S. District Judge A NO ____________________________________ . Chen 24 25 D RDERE S SO O IED IT I DIF AS MO R NIA UNIT ED 21 RT U O 20 S DISTRICT TE C TA C N * Pursuant to Local Rule 5-1(i)(3), I attest that I have obtained the concurrenceFof the this O D IS T I R and person to file this stipulation on their behalf with electronic signature,C T I will maintain records proving as much as required. /s/ Micah C.E. Osgood SF2012402118 2 Stipulation to Extend M.S.C. & C.M.C. Deadlines (CV 11-2717 EMC)

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