AF Holdings LLC v. Doe

Filing 57

STIPULATION AND ORDER re 52 to Postpone ENE filed by AF Holdings LLC. Signed by Judge Edward M. Chen on 2/13/13. (bpf, COURT STAFF) (Filed on 2/13/2013)

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1 2 3 4 Brett L. Gibbs, Esq. (SBN 251000) Of Counsel for Prenda Law Inc. 38 Miller Avenue, #263 Mill Valley, CA 94941 415-325-5900 blgibbs@wefightpiracy.com Attorney for Plaintiff 5 6 7 8 Nicholas Ranallo, Attorney at Law 371 Dogwood Way Boulder Creek, CA 95006 (831) 703-4011 nick@ranallolawoffice.com Attorney for Defendant 9 10 IN THE UNITED STATES DISTRICT COURT FOR THE 11 NORTHERN DISTRICT OF CALIFORNIA 12 13 14 15 16 17 18 19 20 21 22 AF HOLDINGS LLC, ) ) ) Plaintiff, ) ) v. ) ) ) JOE NAVASCA, ) ) ) Defendant. ) ) ____________________________________) No. 3:12-CV-02396-EMC STIPULATION TO POSTPONE ENE; PROPOSED ORDER STIPULATION TO POSTPONE EARLY NEUTRAL EVALUATION; PROPOSED ORDER Plaintiff AF Holdings LLC and Defendant Joe Navasca hereby agree and stipulate that, in 23 light of the Court’s Order Granting Defendant’s Motion to Require Undertaking (ECF No. 51, 24 “February 5 Order”), the upcoming Early Neutral Evaluation (“ENE”) scheduled for February 28, 25 26 27 28 2013 should be postponed indefinitely until the final resolution of the undertaking matter. Both parties agree that such a postponement would allow for the undertaking issue to be fully resolved, and, at that juncture, it will be clear whether (and when) the ENE should be rescheduled. Both 1 parties agree that this postponement is beneficial to everyone, including the Court and the ENE 2 officer, because it prevents the potential for waste of valuable time and resources. 3 As such, both parties hereby request that Court approve of this stipulation pursuant to Local 4 Rule 7-12, and order that the ENE currently scheduled for February 28, 2013 is postponed until 5 further notice. 6 DATED: February 6. 2013 7 PRENDA LAW INC., 8 By: /s/ Brett L. Gibbs, Esq. 9 Brett L. Gibbs, Esq. (SBN 251000) Of Counsel to Prenda Law Inc. 38 Miller Avenue, #263 Mill Valley, CA 94941 415-325-5900 blgibbs@wefightpiracy.com Attorney for Plaintiff AF Holdings LLC 10 11 12 13 14 15 DATED: February 7, 2013 NICHOLAS RANALLO, ATTY AT LAW 16 By: 17 /s/ Nicholas Ranallo Nicholas Ranallo 371 Dogwood Way Boulder Creek, CA 95006 (831) 703-4011 nick@ranallolawoffice.com Attorney for Joe Navasca 18 19 20 21 22 PURSUANT TO STIPULATION, IT IS SO ORDERED UNIT ED 24 25 _______________________________ U.S. District Court Judge The Honorable Edward M. Chen M. Chen dward Judge E RT 28 ER H 2 STIPULATION; PROPOSED ORDER FO NO 27 R NIA February 6, 2013 LI DATED: ERED O ORD IT IS S A 26 S DISTRICT TE C TA RT U O S 23 No. 3:12-CV-02396-EMC N F D IS T IC T O R C

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