Shankar v. United States Department of Homeland Security et al
Filing
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ORDER GRANTING EX PARTE APPLICATION TO CONTINUE CASE MANAGEMENT CONFERENCE AND RELATED DEADLINES 15 . Initial Case Management Conference set for 9/4/2013 01:00 PM in Courtroom A, 15th Floor, San Francisco. Joint case management statement and consent/declination by the remaining parties due 8/28/2013. Signed by Judge Nathanael Cousins on 6/19/13. (lmh, COURT STAFF) (Filed on 6/19/2013)
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Richard G. Grotch, Esq. – SBN 127713
Gina J. Beltramo, Esq. – SBN 203809
CODDINGTON, HICKS & DANFORTH
A Professional Corporation, Lawyers
555 Twin Dolphin Drive, Suite 300
Redwood City, California 94065-2133
Telephone: (650) 592-5400
Facsimile: (650) 592-5027
E-mail: rgrotch@chdlawyers.com
ATTORNEYS FOR Defendant
UNITED AIRLINES, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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RYAN SHANKAR,
Case No. CV 13-1490 NC
Plaintiff,
STIPULATION CONTINUING CASE
MANAGEMENT CONFERENCE AND
UNITED STATES DEPARTMENT OF RELATED DATES AND ORDER
[Civ. L.R. 6-2(a), 7-12]
HOMELAND SECURITY;
TRANSPORTATION SECURITY
Honorable Nathanael Cousins
ADMINISTRATION and UNITED
AIRLINES CORPORATION, a
United States Magistrate Judge
Delaware Corporation doing business in
the State California; and DOES 1-10,
inclusive,
vs.
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Defendants.
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IT IS HEREBY STIPULATED, by and between plaintiff RYAN SHANKAR
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(“Shankar”), and defendant UNITED AIRLINES, INC. (“United”), erroneously sued
herein as United Airlines Corporation, in accordance with Civil Local Rules 6-2(a) and 7-
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12, by and through their respective counsel, that the Court be asked to continue the
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following dates:
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CODDINGTON, HICKS
& DANFORTH
A Professional Corp., Lawyers
555 Twin Dolphin Drive, #300
Redwood City, CA 94065
(650) 592-5400
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STIPULATION EXTENDING DEFENDANT’S TIME TO RESPOND TO COMPLAINT
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objections in the Rule 26(f) Report, and to file the Joint Case Management Statement, be
continued from June 26, 2013 to August 28, 2013; and remaining parties to file consent/declination;
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The last day to file the Rule 26(f) Report, complete initial disclosures or state
The Case Management Conference presently scheduled for July 3, 2013 be
continued to September 4, 2013., at 1:00 p.m.
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The good cause for this request is explained in the accompanying Declaration of
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Richard G. Grotch.
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IT IS SO STIPULATED.
Dated: June 17, 2013
LAW OFFICES OF ANDREA M. TYTELL
/s/ Andrea M. Tytell
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By:_____________________________
Andrea M. Tytell
Attorney for Plaintiff
Ryan Shankar
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Dated: June 17, 2013
CODDINGTON, HICKS & DANFORTH
/s/ Richard G. Grotch
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By:_____________________________
Richard G. Grotch(*)
Attorney for Defendant
United Airlines, Inc.
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(*) I hereby attest that I have on file all
Holographic signatures indicated by a
“conformed” signature (/s/) within
this e-filed document.
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CODDINGTON, HICKS
& DANFORTH
A Professional Corp., Lawyers
555 Twin Dolphin Drive, #300
Redwood City, CA 94065
(650) 592-5400
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STIPULATION EXTENDING DEFENDANT’S TIME TO RESPOND TO COMPLAINT
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RT
U
O
S
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
S DISTRICT
Dated: June __, 2013
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TE
C
TA
NO
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RT
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thanael
Judge Na
H
ER
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N
D IS T IC T
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CODDINGTON, HICKS
& DANFORTH
A Professional Corp., Lawyers
555 Twin Dolphin Drive, #300
Redwood City, CA 94065
(650) 592-5400
M. Cousin
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s
LI
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_________________________________
Honorable Nathanael Cousins
TED
GRAN
United States Magistrate Judge
UNIT
ED
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R NIA
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ORDER
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STIPULATION EXTENDING DEFENDANT’S TIME TO RESPOND TO COMPLAINT
OF
C
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