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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1 2 3 4 5 6 7 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 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 11 ST. PAUL MERCURY INSURANCE COMPANY, a Minnesota corporation 12 Plaintiff, 13 vs. 14 15 16 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 17 18 19 Pursuant to Civil Local Rule 6-1(a) STRS OHIO CA REAL ESTATE INVESTMENT I, 20 LLC (“STRS”) and ST. PAUL MERCURY INSURANCE COMPANY (“St. Paul”), by and 21 through their undersigned attorneys, hereby stipulate to extend STRS’ time to answer or 22 otherwise respond to the first amended complaint. 23 WHEREAS, St. Paul filed its initial complaint on March 8, 2013; 24 WHEREAS, St. Paul did not name STRS as a defendant in the initial complaint; 25 WHEREAS, St. Paul filed its first amended complaint on June 13, 2013; 26 WHEREAS, the original deadline for STRS to answer or otherwise respond to the first 27 28 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 1 extension of time, through and including November 15, 2013, for STRS to answer or otherwise 2 respond to the first amended complaint; and 3 4 WHEREAS, the Stipulation will not alter the date of any event or deadline already fixed by Court Order. 5 6 IT IS HEREBY STIPULATED AND AGREED BY AND BETWEEN COUNSEL AS FOLLOWS: 7 8 STRS shall have up to and including November 15, 2013 within which to answer or otherwise respond to St. Paul’s first amended complaint. 9 10 IT IS SO STIPULATED. Dated: October 29, 2013 SQUIRE SANDERS (US) LLP 11 12 By: 13 14 Attorneys for Defendant STRS OHIO CA REAL ESTATE INVESTMENT I, LLC 15 16 /s/ Ethan H. Seibert Diane L. Gibson Ethan H. Seibert Dated: October 29, 2013 THE AGUILERA LAW GROUP, APLC 17 18 19 S ER 27 28 SQUIRE SANDERS (US) LLP 275 Battery Street, Suite 2600 San Francisco, California 94111 FO dwa Judge E A H 26 R NIA hen rd M. C RT 25 I NO 24 ERED ORD T IS SO Attorneys for Plaintiff ST. PAUL FIRE & MARINE INSURANCE COMPANY LI 23 UNIT ED 22 RT U O S DISTRICT TE C TA 20 21 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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