United States of America v. $209,815 in United States Currency
Filing
158
ORDER APPROVING STIPULATION TO EXTEND TIME FOR CLAIMANT'S REPLY BRIEF IN SUPPORT OF CLAIMANT'S MOTION FOR RECONSIDERATION OF SUMMARY JUDGMENT. Claimant may have up to and including December 18, 2015, to file his reply brief. Signed by Judge Maxine M. Chesney on December 15, 2015. (mmclc1, COURT STAFF) (Filed on 12/15/2015)
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DAVID M. MICHAEL, CSBN 74031
EDWARD M. BURCH, CSBN 255470
LAW OFFICES OF DAVID M. MICHAEL
One Sansome Street, Suite 3500
San Francisco, CA 94104
Telephone: (415) 946-8996
Facsimile: (877) 538-6220
E-mail:
edward@davidmichaellaw.com
Attorneys for Claimant
JULIO FIGUEROA
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
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UNITED STATES OF AMERICA,
No. 3:14-cv-00780-MMC
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Plaintiff,
v.
ORDER APPROVING
STIPULATION TO EXTEND TIME BY
$209,815 IN UNITED STATES CURRENCY, FOR CLAIMANT’S REPLY BRIEF IN
SUPPORT OF CLAIMANT’S MOTION
Defendant.
FOR RECONSIDERATION OF
______________________________________/ SUMMARY JUDGMENT AS
AUTHORIZED BY 10/14/15 ORDER (Doc.
JULIO FIGUEROA,
148)
Claimant.
______________________________________/
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The parties through their undersigned counsel agree, subject to the Court’s approval, that
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Claimant may have up to and including December 18, 2015, to file his reply brief in support of
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his motion for reconsideration (Doc. 148, filed 11/23/15) which was authorized by the Court’s
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10/14/15 Order.
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The reply brief is currently due tomorrow, December 15, 2015, and the motion hearing is
currently scheduled for Friday, January 8, 2015.
The government has no objection if the Court grants counsel’s request to extend the time
for filing a reply to and including Friday, December 18, 2015.
The reason for this stipulation is that Claimant’s expert has a personal matter that has
Stipulation Extending Time for Reply re Claimant Motion for Reconsideration
No. 3:14-cv-00780-MMC
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prevented him from completing work for the reply papers, and also to accommodate Claimant’s
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counsel’s schedule.
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IT IS SO STIPULATED:
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LAW OFFICES OF DAVID M. MICHAEL
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Dated: 14 December 2015
s/Edward M. Burch
DAVID M. MICHAEL
EDWARD M. BURCH
Attorneys for Claimant Julio Figueroa
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BRIAN J. STRETCH
Acting United States Attorney
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Dated: 14 December 2015
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s/Patricia J. Kenney
PATRICIA J. KENNEY
Assistant United States Attorney
Attorneys for the United States
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ATTESTATION OF COUNSEL AS TO OTHER SIGNATORIES
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I attest that concurrence and consent in the filing of this document has been obtained
from each of the other signatories, or from the single signatory, which shall serve in lieu of their
signature(s) on this document.
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Dated: 14 December 2015
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s/Edward M. Burch
EDWARD M. BURCH
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PURSUANT TO THE FOREGOING STIPULATION IT IS SO ORDERED.
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Dated: December 15, 2015
______________________________________
THE HONORABLE MAXINE M. CHESNEY
United States District Judge
Stipulation Extending Time for Reply re Claimant Motion for Reconsideration
No. 3:14-cv-00780-MMC
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