Service Employees International Union National Industry Pension Fund et al v. GCA Services Group, Inc. et al

Filing 59

STIPULATION AND ORDER re 58 STIPULATION WITH PROPOSED ORDER re 54 Settlement Conference - Stipulation and Joint Request to Extend Date for Lodging of Settlement Conference Statements; [Proposed] Order - filed by Larry T. Smith, K evin J. Doyle, Roderick S. Bashir, Frank A. Maxson, Stephen Abrecht, Myriam Escamilla, David A. Stilwell, Steven W. Ford, Service Employees International Union National Industry Pension Fund, Edward Manko, John J. Sheridan. Signed by Magistrate Judge Kandis A. Westmore on 5/13/16. (sisS, COURT STAFF) (Filed on 5/13/2016)

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1 ANNE M. BEVINGTON (SBN 111320) abevington@sjlawcorp.com 2 SALTZMAN & JOHNSON LAW CORPORATION 44 Montgomery Street, Suite 2110 3 San Francisco, CA 94104 4 Telephone: (415) 882-7900 Facsimile: (415) 882-9287 5 Attorneys for Plaintiffs 6 STEVEN M. CVITANOVIC (SBN 168031) 7 scvitanovic@HBBLAW.com 8 DAVID A. HARRIS (SBN 129837) DHarris@HBBLAW.com 9 HAIGHT BROWN & BONESTEEL LLP Three Embarcadero Center, Suite 200 10 San Francisco, CA 94111-4005 11 Telephone: 415.546.7500 Facsimile: 415.546.7505 12 Attorneys for Defendants GCA SERVICES 13 GROUP, INC., a Delaware corporation; and ACME BUILDING MAINTENANCE CO., 14 INC., a California corporation 15 16 UNITED STATES DISTRICT COURT 17 NORTHERN DISTRICT OF CALIFORNIA 18 SERVICE EMPLOYEES INTERNATIONAL UNION NATIONAL INUDSTRY PENSION 19 FUND, et al., 20 21 Plaintiffs, v. GCA SERVICES GROUP, INC., a Delaware 22 corporation; and ACME BUILDING 23 MAINTENANCE CO., INC., a California corporation, 24 Defendants. CASE NO. CV 13-03078 MEJ (KAW) STIPULATION AND JOINT REQUEST TO EXTEND DATE FOR LODGING OF SETTLEMENT CONFERENCE STATEMENTS; [PROPOSED] ORDER THEREON Complaint filed: Trial date: Settlement Conference: July 3, 2013 November 7, 2016 May 23, 2016 25 26 On March 15, 2016, this matter was referred to Magistrate Judge Kandis A. Westmore for 27 settlement. Under the Civil Minute Order filed March 31, 2013 (Dkt #54) which sets forth the 28 substance of the pre-settlement telephonic conference held before Judge Westmore on that date, - 1 - STIP. AND JOINT REQUEST TO EXTEND DATE FOR LODGING SETTLEMENT CONFERENCE STATEMENTS; [PROPOSED] ORDER CASE NO. CV 13-03078 MEJ (KAW) C:\Users\IMBRIA~1\AppData\Local\Temp\notesF8C1A4\5-12-16 Stip and Joint Request to Extend Submission Date for Stlmt Conf Statements.doc 1 Judge Westmore set the Settlement Conference to occur in this matter on May 23, 2016, and set 2 May 13, 2016 as the last day for the parties to lodge their Settlement Conference Statements. 3 Since the March 31, 2016 pre-settlement telephone conference, the parties have exchanged 4 relevant documents and information and pre-settlement discussions are continuing to occur as 5 ordered by Judge Westmore. Defendant submitted documents to the Plaintiffs on May 8, 2016, and 6 has requested that the Plaintiffs respond to that information before Defendant could be in a position 7 to formulate a settlement position. Defendants submitted additional documents on May 11, 2016, 8 which Plaintiffs must evaluate. 9 In order to allow the parties time to review and process recently-exchanged information in 10 advance of submitting their settlement conference statements, the parties stipulate and request a 511 day extension of time in which to prepare and lodge their Settlement Conference Statements, from 12 May 13, 2016 to May 18, 2016. 13 SO STIPULATED. 14 Dated: May 12, 2016 SALTZMAN & JOHNSON LAW CORPORATION 15 __/S/ Anne M. Bevington________________ By: Anne M. Bevington Attorneys for Plaintiffs 16 17 18 19 Dated: May 12, 2016 HAIGHT BROWN & BONESTEEL LLP 20 21 22 23 __/S/ David A. Harris_________________ By: David A. Harris Attorneys for Defendants SIGNATURE ATTESTATION 24 25 26 27 28 Pursuant to Rule 5-1(i)(3) of the Civil Local Rules of this Court, I attest that concurrence in the filing of this document has been obtained from the other signatory, David A. Harris. I declare under penalty of perjury that the foregoing is true and correct and that this declaration was signed this 12th day of May, 2016, at San Francisco, California. - 2 - STIP. AND JOINT REQUEST TO EXTEND DATE FOR LODGING SETTLEMENT CONFERENCE STATEMENTS; [PROPOSED] ORDER CASE NO. CV 13-03078 MEJ (KAW) C:\Users\IMBRIA~1\AppData\Local\Temp\notesF8C1A4\5-12-16 Stip and Joint Request to Extend Submission Date for Stlmt Conf Statements.doc __/S/ Anne M. Bevington_____________ Anne M. Bevington 1 2 3 4 5 6 ORDER Based on the foregoing stipulation and joint request, and good cause appearing, IT IS 7 HEREBY ORDERED as follows: 8 The deadline for the parties to lodge their Settlement Conference Statements is hereby 9 extended 5 days from May 13, 2016 to May 18, 2016. 10 The Settlement Conference date set for May 23, 2016 shall remain unchanged. 11 IT IS SO ORDERED. 12 Dated: ___________________ 5/13/16 13 ____________________________________ HONORABLE KANDIS A. WESTMORE UNITED STATES MAGISTRATE JUDGE 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 - 3 - STIP. AND JOINT REQUEST TO EXTEND DATE FOR LODGING SETTLEMENT CONFERENCE STATEMENTS; [PROPOSED] ORDER CASE NO. CV 13-03078 MEJ (KAW) C:\Users\IMBRIA~1\AppData\Local\Temp\notesF8C1A4\5-12-16 Stip and Joint Request to Extend Submission Date for Stlmt Conf Statements.doc

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