AF Holdings LLC v. Doe
Filing
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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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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
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Nicholas Ranallo, Attorney at Law
371 Dogwood Way
Boulder Creek, CA 95006
(831) 703-4011
nick@ranallolawoffice.com
Attorney for Defendant
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IN THE UNITED STATES DISTRICT COURT FOR THE
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NORTHERN DISTRICT OF CALIFORNIA
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AF HOLDINGS LLC,
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Plaintiff,
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v.
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JOE NAVASCA,
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Defendant.
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____________________________________)
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
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light of the Court’s Order Granting Defendant’s Motion to Require Undertaking (ECF No. 51,
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“February 5 Order”), the upcoming Early Neutral Evaluation (“ENE”) scheduled for February 28,
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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
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parties agree that this postponement is beneficial to everyone, including the Court and the ENE
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officer, because it prevents the potential for waste of valuable time and resources.
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As such, both parties hereby request that Court approve of this stipulation pursuant to Local
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Rule 7-12, and order that the ENE currently scheduled for February 28, 2013 is postponed until
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further notice.
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DATED: February 6. 2013
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PRENDA LAW INC.,
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By:
/s/ Brett L. Gibbs, Esq.
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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
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DATED: February 7, 2013
NICHOLAS RANALLO, ATTY AT LAW
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By:
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/s/ Nicholas Ranallo
Nicholas Ranallo
371 Dogwood Way
Boulder Creek, CA 95006
(831) 703-4011
nick@ranallolawoffice.com
Attorney for Joe Navasca
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PURSUANT TO STIPULATION, IT IS SO ORDERED
UNIT
ED
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_______________________________
U.S. District Court Judge
The Honorable Edward M. Chen M. Chen
dward
Judge E
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ER
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STIPULATION; PROPOSED ORDER
FO
NO
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R NIA
February 6, 2013
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DATED:
ERED
O ORD
IT IS S
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No. 3:12-CV-02396-EMC
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