Pizza v. Financial Industry Regulatory Authority, Inc.,
Filing
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ORDER GRANTING STIPULATED REQUEST TO CONTINUE EARLY MEDIATION DEADLINE. The deadline for the parties to complete mediation is extended to October 4, 2013. Signed by Judge Maxine M. Chesney on July 3, 2013. (mmclc1, COURT STAFF) (Filed on 7/3/2013)
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WHITE & REED LLP
Michael R. White (SBN 91148)
white@whitereed.com
James S. Reed (SBN 165316)
5757 W. Century Boulevard, Suite 700
Los Angeles, CA 90045
Telephone:
(310) 843-9065
Facsimile:
(310) 843-9064
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Attorneys for Plaintiff
DANIEL PIZZA
SEYFARTH SHAW LLP
Nick C. Geannacopulos (SBN 114822)
ngeannacopulos@seyfarth.com
Sarah K. Hamilton (SBN 238819)
shamilton@seyfarth.com
560 Mission Street, 31st Floor
San Francisco, California 94105
Telephone:
(415) 397-2823
Facsimile:
(415) 397-8549
Attorneys for Defendant
FINANCIAL INDUSTRY REGULATORY
AUTHORITY, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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DANIEL PIZZA,
Case No. C-13-0688-MMC
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Plaintiff,
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v.
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FINANCIAL INDUSTRY REGULATORY
AUTHORITY, INC.,
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STIPULATED REQUEST TO
CONTINUE EARLY MEDIATION
DEADLINE; [PROPOSED] ORDER
Judge:
Honorable Judge Maxine M.
Chesney
Defendant.
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Pursuant to Local Rule 6-2, Plaintiff Daniel Pizza (“Plaintiff”) and Defendant Financial
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Industry Regulatory Authority (“Defendant”) (collectively “the Parties”) through their respective
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counsel stipulate and agree as follows:
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1.
Plaintiff filed his original Complaint on February 14, 2013, after which Defendant
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STIPULATED REQUEST TO CONTINUE EARLY MEDIATION DEADLINE; PROPOSED ORDER/ C-130688-MMC
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filed a motion to dismiss.
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2.
On May 6, 2013, the Court granted Defendant’s motion to dismiss with leave for
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Plaintiff to file a First Amended Complaint by May 27, 2013. (Docket 24, page 7-8) In its Order,
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the Court also moved the Case Management Conference, which was previously set for May 24,
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2013 to July 12, 2013.
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3.
Pursuant to the Court’s May 6, 2013 Stipulation and Order Selecting ADR
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Process (Docket 23), the Parties’ early mediation deadline is currently set for August 4, 2013,
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“unless otherwise ordered.”
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4.
With the filing of an amended complaint and the continued CMC, the Parties are
only now beginning discovery in this matter.
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5.
Counsel for both Parties have met and conferred, and agreed that it would be in
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the Parties’ and the Court’s interest to continue the Early Mediation Deadline to allow the parties
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to engage in necessary discovery.
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6.
The Parties request that the early mediation deadline, currently set as August 4,
2013, be continued until October 4, 2013, while the Parties engage in preliminary discovery.
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7.
There have been no previous requests for an extension of the mediation deadline
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by either party and the later mediation deadline of October 4, 2013 will not have any impact on
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any court imposed deadlines.
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THEREFORE, the parties hereto stipulate and agree, and request, that the Court enter an
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Order continuing the deadline to conduct private mediation from August 4, 2013 to October 4,
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2013.
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IT IS SO STIPULATED.
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STIPULATED REQUEST TO CONTINUE EARLY MEDIATION DEADLINE; PROPOSED ORDER/ C-130688-MMC
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DATED: July 2, 2013
SEYFARTH SHAW LLP
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By:
/s/ Sarah K. Hamilton
Nick C. Geannacopulos
Sarah K. Hamilton
Attorneys for Defendant
FINANCIAL INDUSTRY REGULATORY
AUTHORITY, INC.
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DATED: July 2, 2013
WHITE & REED LLP
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By
/s/ Michael R. White
Michael R. White
Attorneys for Plaintiff
DANIEL PIZZA
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ATTESTATION PURSUANT TO LOCAL RULE 5-1(i)(3)
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I, Sarah K. Hamilton, attest that concurrence in the filing of this document has been
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obtained from the signatory Michael R. White.
Executed this 2nd day of July, 2013 in San Francisco, California.
By: /s/ Sarah K. Hamilton____________
Nick C. Geannacopulos
Sarah K. Hamilton
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STIPULATED REQUEST TO CONTINUE EARLY MEDIATION DEADLINE; PROPOSED ORDER/ C-130688-MMC
[PROPOSED] ORDER
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Good cause appearing and pursuant to the parties’ above stipulation, the Court GRANTS
the parties’ request to extend the deadline to complete the mediation in this matter.
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The deadline for the parties to complete mediation in this matter is extended to October 4,
2013.
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
DATED: ________________________, 2013
July 3
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__________________________________________
HON. MAXINE M. CHESNEY
UNITED STATES DISTRICT JUDGE
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STIPULATED REQUEST TO CONTINUE EARLY MEDIATION DEADLINE; PROPOSED ORDER/ C-130688-MMC
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