In the Matter of the Complaint of Golden Gate Bridge, Highway & Transportation District

Filing 36

STIPULATION AND ORDER re 35 STIPULATION WITH PROPOSED ORDER re 33 MOTION for Leave to File Sur-Reply in Support of Motion to Lift Default and Accept Claim filed by In the Matter of the Complaint of Golden Gate Bridge, Highway & Transportation District, David P. Rhoades. Signed by Judge Jon S. Tigar on October 20, 2014. (wsn, COURT STAFF) (Filed on 10/20/2014)

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1 2 3 4 Philip R. Weltin, Esq. SBN 46141 Jason Green-Lowe, Esq. SBN 271586 WELTIN, STREB & WELTIN, LLP 1432 Martin Luther King Jr. Way Oakland, California 94612 Telephone (510) 251-6060 Facsimile (510) 251-6040 Jason@weltinlaw.com 5 6 Attorneys for Defendant and Cross-Complainant DAVID P. RHOADES 7 UNITED STATES DISTRICT COURT 8 NORTHERN DISTRICT OF CALIFORNIA – SAN FRANCISCO DIVISION 9 10 11 12 In the Matter of the Complaint of Case No. 3:13-cv-05875-JST GOLDEN GATE BRIDGE, HIGHWAY & TRNASPORTATION DISTRICT, as Owner and Operator of the M/S SAN FRANCISCO; STIPLUATION AND [PROPOSED] ORDER PERMITTING FILING OF SURREPLY AND SHORT RESPONSE RE: PETITION TO LIFT DEFAULT AND ACCEPT CLAIM 13 14 Plaintiff in Limitation; vs. 15 16 17 DAVID P. RHOADES, and MARY HOLZHAUER, as the Personal Representative of HARRY HOLZHAUER, DECEASED; and ESTATE OF HARRY HOLZHAUER; 18 19 Claimants and Respondents. 20 21 22 23 24 25 26 27 28 1 STIUPLATION TO ALLOW FILING OF SURREPLY AND SHORT RESPONSE RE: PETITION TO LIFT DEFAULT 1 WHEREAS, the parties having had an opportunity, after the filing of Claimant’s Motion for 2 Administrative Relief, to further meet and confer regarding that Motion, and WHEREAS, the parties 3 have agreed on what they urge is a reasonable solution, Claimant David P. Rhoades and Petitioner 4 Golden Gate District hereby STIPULATE to the following: 5 6 7 8 (1) Claimant’s Sur-Reply in Support of Petition to Lift Default, attached as an exhibit to the previously filed Motion for Administrative Relief, shall be deemed filed; and (2) Within 48 hours of the Court’s Order approving this stipulation, Petitioner shall file a Short Response to that Sur-Reply, not to exceed two (2) pages in length. 9 10 IT IS SO STIPULATED. 11 12 Dated: October 20, 2014 WELTIN, STREB & WELTIN LLP 13 14 /s/ _______ Jason Green-Lowe, Esq. Attorneys for Claimant David P. Rhoades 15 16 Dated: October 20, 2014 STERLING & CLACK, P.C. 17 18 ______/s/______ David E. Russo, Esq. Attorneys for Petitioner Golden Gate District 19 20 21 22 The Parties’ Stipulation having come before the Court, and good cause appearing, 23 IT IS SO ORDERED. S UNIT ED ED NO 28 RT 2 n J u d ge J o ER S . Ti ga r H STIUPLATION TO ALLOW FILING OF SURREPLY AND SHORT RESPONSE RE: PETITION TO LIFT DEFAULT N FO 27 LI 26 R NIA ______________________________ ORDER T IS SO I UNITED STATES DISTRICT JUDGE Hon. Jon S. Tigar Dated: October 20, 2014 A 25 RT U O 24 S DISTRICT TE C TA F D IS T IC T O R C

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