Dresser-Rand, Company et al v. Red\Line Internationale Spedition, GMBH et al

Filing 18

ORDER GRANTING re 17 Stipulation filed by Dresser-Rand, Company, D-R Holding (France), S.A.S. for Defendant Starr Indemnity to file responsive pleading up to and including 4/15/13. Signed by Judge Joseph C. Spero on 3/25/13. (klhS, COURT STAFF) (Filed on 3/25/2013)

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1 2 3 4 5 6 7 8 9 10 11 ROGERS JOSEPH O’DONNELL Roland Nikles (State Bar No. 131025) rnikles@rjo.com Lauren B. Kramer (State Bar No. 259821) lkramer@rjo.com 311 California Street, 10th Floor San Francisco, California 94104 Telephone: 415.956.2828 Facsimile: 415.956.6457 Of Counsel: ROETZEL & ANDRESS Thomas L. Rosenberg trosenberg@ralaw.com Michael R. Traven mtraven@ralaw.com PNC Plaza Twelfth Floor 155 East Broad Street Columbus, OH 43215 Telephone: 614.463.9770 Facsimile: 614.463.9792 Attorneys for Plaintiffs 12 13 UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA 15 16 DRESSER-RAND COMPANY and D-R HOLDINGS (FRANCE), S.A.S., 17 Plaintiffs, 18 19 20 21 Case No. C 13-0371-JCS STIPULATION TO EXTEND TIME TO FILE INITIAL PLEADING PURSUANT TO LOCAL RULE 6-1 vs. RED\LINE INTERNATIONALE SPEDITION, GMBH; HAPAG LLOYD AG; SSA MARINE, INC.; and STARR INDEMNITY & LIABILITY COMPANY, Defendants. 22 23 The undersigned, counsel for plaintiffs DRESSER-RAND COMPANY and D-R 24 HOLDINGS (FRANCE), S.A.S. and defendant STARR INDEMNITY & LIABILITY 25 COMPANY (“STARR”) hereby submit this Joint Stipulation pursuant to Local Rule 6-1 to 26 further extend the time in which the STARR may file a responsive pleading herein. 27 // // 28 Page 1 STIPULATION TO EXTEND TIME TO FILE INITIAL PLEADING PURSUANT TO LOCAL RULE 6-1 Case No. C 13-0271-JCS 330136.1 1 The undersigned counsel agree that a further extension of time for STARR to 2 file a responsive pleading is warranted. Such an extension will not affect any date or deadline 3 scheduled by the Court, including the May 3, 2013 Case Management Conference. 4 Accordingly, the undersigned hereby STIPULATE to an extension of time such that the 5 STARR may have up to and including April 15, 2013, to file a responsive pleading herein 6 without risk of default by plaintiff. This is a further extension of the prior time modification 7 as to STARR filed on February 22, 2013 and ordered on February 25, 2013. 8 9 10 Dated: March 21, 2013 ROGERS JOSEPH O'DONNELL 11 By: 12 13 /s/ Roland Nikles ROLAND NIKLES Attorneys for Plaintiffs Dresser-Rand Company and D-R Holdings (France), S.A.S. 14 15 16 Dated: March 21, 2013 GIBSON ROBB & LINDH LLP 17 18 By: 19 20 S LI ER Spero FO seph C. Judge Jo R NIA ERED O ORD D IT IS S IE DIF AS MO A H 25 RT 24 S DISTRICT TE C TA NO 23 UNIT ED 22 Dated: March 25, 2013 Attorneys for Defendant Starr Indemnity & Liability Company RT U O 21 /s/ Joshua Southwick JOSHUA SOUTHWICK N F D IS T IC T O R C 26 27 28 Page 2 STIPULATION TO EXTEND TIME TO FILE INITIAL PLEADING PURSUANT TO LOCAL RULE 6-1 Case No. C 13-0271-JCS 330136.1

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