Grant v. Experian Information Solutions, Inc et al

Filing 24

STIPULATION AND ORDER SELECTING ADR PROCESS by Hon. William H. Orrick granting 23 Stipulation selecting Mediation. (jmdS, COURT STAFF) (Filed on 10/3/2014)

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UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA Barbara A. Grant, CASE NO. 14-cv-03207-WHO Plaintiff, v. STIPULATION AND ORDER SELECTING ADR PROCESS Experian Information Solutions, Inc., et al, Defendants. _______________________________/ Counsel report that they have met and conferred regarding ADR and have reached the following stipulation pursuant to Civil L.R. 16-8 and ADR L.R. 3-5: The parties agree to participate in the following ADR process: Court Processes: ☐ Non-binding Arbitration (ADR L.R. 4) ☐ Early Neutral Evaluation (ENE) (ADR L.R. 5) X Mediation (ADR L.R. 6) (Note: Parties who believe that an early settlement conference with a Magistrate Judge is appreciably more likely to meet their needs than any other form of ADR must participate in an ADR phone conference and may not file this form. They must instead file a Notice of Need for ADR Phone Conference. See Civil Local Rule 16-8 and ADR L.R. 3-5) Private Process: ☐ Private ADR (please identify process and provider) ______________________ _____________________________________________________________________________ The parties agree to hold the ADR session by: 90 days from the date of the order referring the case to an ADR process. _____________________________________________ Dated: September 30, 2014 See attached page 3 for additional counsel. CONTINUE TO FOLLOWING PAGE /s/ Mark F. Anderson Attorney for Plaintiff ORDER X The parties’ stipulation is adopted and IT IS SO ORDERED. ☐ The parties’ stipulation is modified as follows, and IT IS SO ORDERED. Dated: October 3, 2014 ______________________________ UNITED STATES JUDGE When filing this document in ECF, please be sure to use the appropriate Docket Event, e.g., “Stipulation and Proposed Order Selecting Mediation.” Rev. 12/11 Page 3 to Stipulation to ADR in Grant v Experian Information Solutions, Inc., No. 14-cv-03207WHO /s/ Thomas P. Quinn, SBN 132268 NOKES & QUINN 410 Broadway, Ste 200 Laguna Beach, CA 92651 Ph: 949.376.3500 Fax: 949.376.3070 Email: tquinn@nokesquinn.com Attorneys for Equifax Information Services LLC /s/ Andrew M. Lehmann (admitted Pro Hac Vice) Schuckit & Associates, P.C. 34545 Northwestern Drive Zionsville, IN 46077 Ph: 317.363.2400 Fax: 317.363.2257 Email: DMiller@schuckitlaw.com /s/ Monica Katz-Lapides Monica Katz-Lapides (SBN 257231) Tate &th Associates 1321 8 Street, Suite 4 Berkeley, CA 94710 Phone: 510.525.5100 Fax: 510.525.5130 Email: mkl@tateandassociates-law.com Attorneys for Defendant Trans Union, LLC /s/ Katherine A. Klimkowski (SBN 263009) JONES DAY 3161 Michelson Drive, Suite 800 Irvine, CA 92612 Ph: 949.851.3939 Fax: 949.553.7539 Email: kaklimkowski@jonesday.com Attorneys for Experian Information Solutions, Inc.

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