Cupp v. Azzouni et al

Filing 36

ORDER DENYING AS MOOT ADMINISTRATIVE MOTION RE LEAVE TO FILE SEPARATE CASE MANAGEMENT CONFERENCE STATEMENT. Signed by Judge Maxine M. Chesney on May 12, 2014. (mmclc2, COURT STAFF) (Filed on 5/12/2014)

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R NIA S esney LI H ER FO . Ch axine M Judge M A RT 4 D* DENIE NO 3 UNIT ED 2 CAROLINE L. FOWLER, City Attorney (SBN 110313) JOHN J. FRITSCH, Assistant City Attorney (SBN 172182) City of Santa Rosa 100 Santa Rosa Avenue, Room 8 Santa Rosa, California 95404 Telephone: (707) 543-3040 Facsimile: (707) 543-3055 RT U O 1 ISTRIC ES D TC AT T C 7 N F Attorneys for Defendants D IS T IC T O R MARK AZZOUNI, CITY OF SANTA ROSA * Denied as moot in light of order, filed May and JOHN DOE #1 12, 2014, continuing case management conference. Dated: May 12, 2014 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 5 6 10 11 RONALD CUPP, 12 13 14 15 16 17 18 19 20 21 Case No. CV 14-1283 MMC Plaintiff, v. MARK AZZOUNI; CITY OF SANTA ROSA; SARA DELANEY; SCOTT BACHMAN; JANE DOE #1; JOHN DOE #1; SUPERIOR COURT FOR THE STATE OF CALIFORNIA, COUNTY OF SONOMA; SUPERIOR COURT FOR THE STATE OF CALIFORNIA, COUNTY OF SONOMA CASE NO. SCR628864; JOHN DOES 2 through 10; and JANE DOES 2 through 10, Defendants. ADMINISTRATIVE MOTION RE LEAVE TO FILE SEPARATE CASE MANAGEMENT CONFERENCE STATEMENT [Local Rules 7-11, 7-12] 42 U.S.C. § 1983 [JURY TRIAL DEMANDED] / COMES NOW Defendants MARK AZZOUNI, CITY OF SANTA ROSA 22 and JOHN DOE #1 and move the court for an order re leave to file separate Case 23 Management Conference Statement. 24 The court has noticed the date of June 20, 2014 at 10:30 a.m. as the date and time 25 of the next case management conference in this case. A Joint Case Management 26 Conference Statement must be filed no later than 7 days prior to the Conference (Case 27 Management Order dated April 14, 2014 (Doc. 22). John Fritsch, attorney for MARK 28 AZZOUNI; CITY OF SANTA ROSA; and JOHN DOE #1, purchased tickets for travel 1 Administrative Motion re Filing Separate CMC Statement, Case No. CV 14-1283 MMC 1 2 departing the United States on May 30, 2014 and returning June 13, 2014. Defendants’ sought the stipulation of all counsel and pro se plaintiff Cupp to file a 3 separate Statement. Exhibit “A” is a form of Stipulation and [Proposed] Order 4 transmitted to all counsel and pro se plaintiff Cupp, and then signed by all counsel. Pro 5 se plaintiff Cupp has not responded regarding his intentions. 6 7 Defendants MARK AZZOUNI, CITY OF SANTA ROSA and JOHN DOE #1 respectfully request leave to file a separate Statement. 8 9 Dated: April 24, 2014 OFFICE OF THE CITY ATTORNEY 10 /s/ ___________________________________ John J. Fritsch Assistant City Attorney Attorney for Defendants MARK AZZOUNI; CITY OF SANTA ROSA; and JOHN DOE #1 11 12 13 14 ORDER 15 GOOD CAUSE APPEARING, 16 1. MARK AZZOUNI; CITY OF SANTA ROSA; and JOHN DOE #1 are 17 excused from the meet and confer obligation imposed by Case 18 Management Conference Order; 19 2. MARK AZZOUNI; CITY OF SANTA ROSA; and JOHN DOE #1 are 20 granted leave to file a Separate Statement no later than end of business on 21 June 17, 2014. 22 IT IS SO ORDERED. 23 24 25 Dated: _________________ _____________________________________ MAXINE M. CHESNEY United States District Judge 26 27 28 2 Administrative Motion re Filing Separate CMC Statement, Case No. CV 14-1283 MMC

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