Ashraf v. Loral Space Long Term Disability Plan et al
Filing
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ORDER Initial Case Management Conference set for 1/13/2012 02:30 PM. (tf, COURT STAFF) (Filed on 11/29/2011)
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ADRIENNE C. PUBLICOVER (SBN: 161432)
Email:adrienne.publicover@wilsonelser.com
LAURA E. FANNON (SBN: 111500)
Email: laura.fannon@wilsonelser.com
WILSON, ELSER, MOSKOWITZ,
EDELMAN & DICKER LLP
525 Market Street – 17th Floor
San Francisco, California 94105-2725
Telephone: (415) 433-0990
Facsimile:
(415) 434-1370
MICHELLE L. ROBERTS (SBN: 239092)
Email: mlr@ssrlawgroup.com
CASSIE SPRINGER-SULLIVAN (SBN:
221506)
SPRINGER-SULLIVAN & ROBERTS
LLP
410 – 12th Street, Suite 325
Oakland, CA 94607
Telephone: (510) 992-6130
Facsimile:
(510) 280-7564
Attorneys for Defendants LORAL SPACE
LONG TERM DISABILITY PLAN and
LIFE INSURANCE COMPANY OF
NORTH AMERICA
Attorneys for Plaintiff,
MOHAMMAD ASHRAF
JOSEPH C. LIBURT (STATE BAR NO. 155507)
SITTHIKIT CHARIYASATIT (STATE BAR
NO. 252028)
ORRICK, HERRINGTON & SUTCLIFFE
LLP
1000 Marsh Road
Menlo Park, California 94025
Telephone: 650-614-7400
Facsimile:
650-614-7401
schariyasatit@orrick.com
jliburt@orrick.com
Attorneys for Defendant
LORAL SPACE INSURANCE AND HEALTH
BENEFITS PLAN
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Mohammad Ashraf,
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN FRANCISCO DIVISION
Case No. C11-03584 SI
Plaintiff,
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vs.
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Loral Space Long Term Disability Plan;
Life Insurance Company of North America,
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NOTICE OF SETTLEMENT;
JOINT REQUEST AND [PROPOSED]
ORDER CONTINUING CASE
MANAGEMENT CONFERENCE
Defendants,
and
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Loral Space Insurance and Health Benefits
Plan,
Nominal Defendant
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NOTICE OF SETTLEMENT & JOINT REQUEST
CASE NO. 11-03584 SI
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TO THE CLERK OF THE COURT, THE HONORABLE SUSAN ILLSTON, ALL
PARTIES AND THEIR ATTORNEYS OF RECORD HEREIN:
WHEREAS, Plaintiff Mohammad Ashraf, and Defendants Loral Space Long Term
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Disability Plan, Cigna Life Insurance Company of New York (“CLICNY”), Loral Space
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Insurance and Health Benefits Plan (collectively, “the Parties”), have agreed to a settlement in
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principle of all claims and causes of action alleged in the above-referenced action;
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WHEREAS, the Parties are in the process of preparing the settlement documents and
anticipate requiring three weeks to finalize and effectuate the terms of the settlement;
WHEREAS, the Parties are scheduled to appear for a case management conference before
this Court on December 9, 2011 at 2:30 p.m.;
and WHEREAS, the Parties desire to continue the currently scheduled case management
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conference to January 13, 2012 at 2:30 p.m. to enable the Parties sufficient time to finalize the
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settlement and dismiss the case with prejudice;
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NOW, THEREFORE, the Parties request an order from the Court rescheduling the initial
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case management conference from December 9, 2011 at 2:30 p.m. to January 13, 2012 at 2:30
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p.m., or as soon thereafter as may be heard by the Court.
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IT IS SO AGREED AND REQUESTED.
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Dated: November 28, 2011
SPRINGER-SULLIVAN & ROBERTS LLP
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By:
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WILSON, ELSER, MOSKOWITZ,
EDELMAN & DICKER LLP
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/s/
Michelle L. Roberts
Attorneys for Plaintiff
Dated: November 28, 2011
By:
/s/
Laura Fannon
Attorneys for Defendants CLICNY & Loral
Space Long Term Disability Plan
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NOTICE OF SETTLEMENT & JOINT REQUEST
CASE NO. 11-03584 SI
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Dated: November 28, 2011
ORRICK, HERRINGTON & SUTCLIFFE
LLP
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By:
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/s/
Joseph Liburt
Attorneys for Defendant Loral Space
Insurance and Health Benefits Plan
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IT IS SO ORDERED.
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The initial case management conference scheduled for December 9, 2011 at 2:30 p.m. will be
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continued to January 13, 2011 at 2:30 p.m., or as soon thereafter as may be heard by the Court.
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11/28/11
Dated: ______________
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________________________________
Honorable Susan Illston
United States District Court Judge
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SIGNATURE ATTESTATION
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I, Michelle L. Roberts, hereby attest that that I have obtained the concurrence in the filing of the
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document from the other signatories on this document.
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Dated: November 28, 2011
SPRINGER-SULLIVAN & ROBERTS LLP
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By: /s/ Michelle L. Roberts
Michelle L. Roberts, CA Bar No. 239092
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NOTICE OF SETTLEMENT & JOINT REQUEST
CASE NO. 11-03584 SI
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