St. Paul Mercury Insurance Company v. American Safety Indemnity Company et al
Filing
128
STIPULATION AND ORDER RE: 127 Stipulation filed by STRS Ohio CA Real Estate Investment I LLC. Signed by Judge Edward M. Chen on 10/30/13. (cl, COURT STAFF) (Filed on 10/30/2013)
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SQUIRE SANDERS (US) LLP
Diane L. Gibson (State Bar No. 114825)
Ethan H. Seibert (State Bar No. 232262)
275 Battery Street, Suite 2600
San Francisco, CA 94111
Telephone: +1 415 954 0200
Facsimile: +1 415 393 9887
Email:
diane.gibson@squiresanders.com
ethan.seibert@squiresanders.com
Attorneys for Defendant
STRS OHIO CA REAL ESTATE INVESTMENT I,
LLC
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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ST. PAUL MERCURY INSURANCE
COMPANY, a Minnesota corporation
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Plaintiff,
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vs.
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AMERICAN SAFETY INDEMNITY
COMPANY, et al.
Defendants.
Case No. C-13-01082 EMC
ORDER
STIPULATION TO EXTEND STRS OHIO
CA REAL ESTATE INVESTMENT I,
LLC’S TIME TO ANSWER OR
OTHERWISE RESPOND TO FIRST
AMENDED COMPLAINT [L.R. 6-1(a)]
Complaint Filed:
FAC Filed:
Response Due:
New Response Due:
03/08/13
06/13/13
11/01/13
11/15/13
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Pursuant to Civil Local Rule 6-1(a) STRS OHIO CA REAL ESTATE INVESTMENT I,
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LLC (“STRS”) and ST. PAUL MERCURY INSURANCE COMPANY (“St. Paul”), by and
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through their undersigned attorneys, hereby stipulate to extend STRS’ time to answer or
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otherwise respond to the first amended complaint.
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WHEREAS, St. Paul filed its initial complaint on March 8, 2013;
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WHEREAS, St. Paul did not name STRS as a defendant in the initial complaint;
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WHEREAS, St. Paul filed its first amended complaint on June 13, 2013;
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WHEREAS, the original deadline for STRS to answer or otherwise respond to the first
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SQUIRE SANDERS (US) LLP
275 Battery Street, Suite 2600
San Francisco, California 94111
amended complaint is November 1, 2013;
WHEREAS, as permitted by Local Rule 6-1(a), STRS and St. Paul have stipulated to an
STIPULATION TO EXTEND STRS’ TIME TO RESPOND TO FAC
Case No. C-13-01082-EMC
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extension of time, through and including November 15, 2013, for STRS to answer or otherwise
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respond to the first amended complaint; and
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WHEREAS, the Stipulation will not alter the date of any event or deadline already fixed
by Court Order.
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IT IS HEREBY STIPULATED AND AGREED BY AND BETWEEN COUNSEL AS
FOLLOWS:
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STRS shall have up to and including November 15, 2013 within which to answer or
otherwise respond to St. Paul’s first amended complaint.
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IT IS SO STIPULATED.
Dated: October 29, 2013
SQUIRE SANDERS (US) LLP
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By:
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Attorneys for Defendant
STRS OHIO CA REAL ESTATE
INVESTMENT I, LLC
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/s/ Ethan H. Seibert
Diane L. Gibson
Ethan H. Seibert
Dated: October 29, 2013
THE AGUILERA LAW GROUP, APLC
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S
ER
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SQUIRE SANDERS (US) LLP
275 Battery Street, Suite 2600
San Francisco, California 94111
FO
dwa
Judge E
A
H
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R NIA
hen
rd M. C
RT
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I
NO
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ERED
ORD
T IS SO
Attorneys for Plaintiff
ST. PAUL FIRE & MARINE INSURANCE
COMPANY
LI
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UNIT
ED
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RT
U
O
S DISTRICT
TE
C
TA
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By:______ /s/ Kimberly R. Arnal __________
A. Eric Aguilera
Kimberly R. Arnal
N
F
D IS T IC T O
R
C
-2STIPULATION TO EXTEND STRS’ TIME TO RESPOND TO FAC
Case No. C-13-01082-EMC
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