In the Matter of the Complaint of Golden Gate Bridge, Highway & Transportation District
Filing
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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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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
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Attorneys for Defendant and Cross-Complainant
DAVID P. RHOADES
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA – SAN FRANCISCO DIVISION
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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
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Plaintiff in Limitation;
vs.
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DAVID P. RHOADES, and MARY
HOLZHAUER, as the Personal Representative
of HARRY HOLZHAUER, DECEASED; and
ESTATE OF HARRY HOLZHAUER;
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Claimants and Respondents.
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STIUPLATION TO ALLOW FILING OF SURREPLY AND SHORT RESPONSE RE: PETITION TO LIFT DEFAULT
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WHEREAS, the parties having had an opportunity, after the filing of Claimant’s Motion for
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Administrative Relief, to further meet and confer regarding that Motion, and WHEREAS, the parties
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have agreed on what they urge is a reasonable solution, Claimant David P. Rhoades and Petitioner
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Golden Gate District hereby STIPULATE to the following:
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(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.
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IT IS SO STIPULATED.
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Dated: October 20, 2014
WELTIN, STREB & WELTIN LLP
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/s/
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Jason Green-Lowe, Esq.
Attorneys for Claimant David P. Rhoades
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Dated: October 20, 2014
STERLING & CLACK, P.C.
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______/s/______
David E. Russo, Esq.
Attorneys for Petitioner Golden Gate District
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The Parties’ Stipulation having come before the Court, and good cause appearing,
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IT IS SO ORDERED.
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STIUPLATION TO ALLOW FILING OF SURREPLY AND SHORT RESPONSE RE: PETITION TO LIFT DEFAULT
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R NIA
______________________________
ORDER
T IS SO
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UNITED STATES DISTRICT JUDGE
Hon. Jon S. Tigar
Dated: October 20, 2014
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