Hightower et al v. City and County of San Francisco et al
Filing
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STIPULATION AND ORDER. Signed by Judge Edward M. Chen on 6/17/13. (bpf, COURT STAFF) (Filed on 6/17/2013)
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DENNIS J. HERRERA, State Bar #139669
City Attorney
WAYNE SNODGRASS, State Bar #148137
Deputy City Attorney
TARA M. STEELEY, State Bar #231775
Deputy City Attorney
City Hall, Room 234
1 Dr. Carlton B. Goodlett Place
San Francisco, California 94102-4602
Telephone:
(415) 554-4655
Facsimile:
(415) 554-4699
E-Mail:
tara.steeley@sfgov.org
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Attorneys for Defendants
CITY AND COUNTY OF SAN FRANCISCO
AND SAN FRANCISCO POLICE DEPARTMENT
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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MITCH HIGHTOWER, OXANE “GYPSY”
TAUB, GEORGE DAVIS, RUSSELL MILLS,
RUSSELL “TREY” ALLEN and on behalf of
all persons similarly situated,
Plaintiffs,
vs.
CITY AND COUNTY OF SAN
FRANCISCO, SAN FRANCISCO POLICE
DEPARTMENT,
Case No. C 12-5841-EMC
STIPULATION AND [PROPOSED] ORDER
CONCERNING BRIEFING SCHEDULE FOR
MOTION FOR A PROTECTIVE ORDER
PREVENTING PLAINTIFFS FROM TAKING
THE DEPOSITION OF SUPERVISOR
WIENER AND TO QUASH SUBPOENA
Hearing Date:
Time:
Place:
July 18, 2013
1:30 pm
Courtroom 5, 17th Floor
Defendants.
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STIPULATION/PROPOSED ORDER
CASE NO. C 12-5841-EMC
n:\govern\li2012\130496\00853933.doc
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STIPULATION CONCERNING BRIEFING SCHEDULE ON DEFENDANTS’ MOTION FOR
A PROTECTIVE ORDER AND TO QUASH SUBPOENA
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Whereas, on June 13, 2013, Defendants the City and County of San Francisco and the San
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Francisco Police Department (collectively, “the City”) moved for a protective order preventing
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Plaintiffs from taking the deposition of Supervisor Scott Wiener, and for an order quashing the
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subpoena served on Supervisor Wiener;
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Whereas the parties wish the motion to be heard on July 18, 2013;
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Whereas the parties have agreed to a briefing schedule that will give each party adequate time
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to brief the issues presented in the motion;
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IT IS HEREBY STIPULATED AND AGREED, by and among Plaintiffs and Defendants,
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subject to approval of the Court, that:
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1.
Plaintiffs will file any opposition to the motion by June 25, 2013.
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Defendants will file any reply by July 2.
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SO STIPULATED:
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Dated: June 13, 2013
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By: s/Tara M. Steeley
TARA M. STEELEY
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Attorneys for Defendants
CITY AND COUNTY OF SAN FRANCISCO, DAVID
CHIU, SCOTT WIENER and ANGELA CALVILLO
[in their official capacities]
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Dated: June 13, 2013
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CHRISTINA A. DIEDOARDO
Law Offices of Christina DiEdoardo
By: s/**Christina A. DiEdoardo
CHRISTINA A. DIEDOARDO
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DENNIS J. HERRERA
City Attorney
WAYNE SNODGRASS
TARA M. STEELEY
Deputy City Attorneys
Attorney for Plaintiffs
MITCH HIGHTOWER, OXANE “GYPSY” TAUB,
GEORGE DAVIS, RUSSELL MILLS, ET AL.
**pursuant to GO 45, the electronic signatory
has obtained approval from this signatory.
STIPULATION/PROPOSED ORDER
CASE NO. C 12-5841-EMC
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n:\govern\li2012\130496\00853933.doc
[PROPOSED] ORDER
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Pursuant to the Stipulation, Plaintiffs will file any opposition to the Motion For A Protective
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Order Preventing Plaintiffs From Taking The Deposition Of Supervisor Wiener And To Quash
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Subpoena (“Motion”) by June 25, 2013. Defendants will file any reply in support of the Motion by
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July 2.
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6/17/13
R NIA
Dated:
ERED
O ORD
IT IS S
The Honorable Edward M. Chen
n
UNITED STATES DISTRICTeCOURT
d M. Ch
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Judg
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H
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UNIT
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IT IS SO ORDERED:
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S DISTRICT
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STIPULATION/PROPOSED ORDER
CASE NO. C 12-5841-EMC
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