Contra Costa County Deputy Sheriffs Association v. Mitchoff et al

Filing 22

STIPULATION AND ORDER AS MODIFIED CONTINUING CASE MANAGEMENT CONFERENCE. Case Management Statement due by 6/22/2015. Initial Case Management Conference set for 6/29/2015 01:30 PM in Courtroom 12, 19th Floor, San Francisco. Signed by Judge Thelton E. Henderson on 04/06/2015. (tmiS, COURT STAFF) (Filed on 4/6/2015)

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1 2 3 4 5 6 7 8 9 SHARON L. ANDERSON (SBN 94814) County Counsel MONIKA L. COOPER (SBN 193729) Assistant County Counsel TREVOR J. KOSKI (SBN 250230) Deputy County Counsel COUNTY OF CONTRA COSTA 651 Pine Street, Ninth Floor Martinez, California 94553 Telephone: (925) 335-1800 Facsimile: (925) 335-1866 Electronic Mail: monika.cooper@cc.cccounty.us Attorneys for Defendants County of Contra Costa, Karen Mitchoff, Mary Piepho, John Gioia, and Federal Glover 10 UNITED STATES DISTRICT COURT 11 NORTHERN DISTRICT OF CALIFORNIA 12 13 CONTRA COSTA COUNTY DEPUTY SHERIFFS ASSOCIATION, 14 15 16 Plaintiff, v. MITCHOFF, ET AL., 17 18 Defendants. No. C15-00261 THE MODIFIED STIPULATION AND [PROPOSED] ORDER CONTINUING CASE MANAGEMENT CONFERENCE Crtrm: 12, 19th Floor Judge: Hon. Thelton E. Henderson, Presiding Date Action Filed: January 20, 2015 Trial Date: None Assigned 19 20 21 STIPULATION The initial Case Management Conference (“CMC”) in this matter is currently scheduled 22 for Monday, April 27, 2015. (Docket No. 14.) On March 24, 2015, the Court granted the 23 motion to dismiss filed by defendants COUNTY OF CONTRA COSTA, KAREN 24 MITCHOFF, MARY PIEPHO, JOHN GIOIA, AND FEDERAL GLOVER (“defendants”). 25 (Docket No. 20.) The Court granted plaintiff CONTRA COSTA COUNTY DEPUTY 26 SHERIFFS’ ASSOCIATION leave to amend on or before April 14, 2015. (Id. at 17.) 27 28 If plaintiff files a First Amended Complaint, defendants anticipate they will file another motion to dismiss, which will not be heard – or due – by the time of the currently scheduled STIPULATION AND [PROPOSED] ORDER CONTINUING CASE MANAGEMENT CONFERENCE - Case No. C15-00261 TEH 1 1 CMC. Given this fact, plaintiff and defendants believe it will serve judicial economy and the 2 best interests of the parties to continue the CMC to July 13, 2015, at which point any motion to 3 dismiss will likely have been heard and decided. 4 Therefore, plaintiff and defendants stipulate and request that this Court continue the 5 current date for the CMC until Monday, July 13, 2015, or as soon thereafter as the Court’s 6 schedule permits, with the deadline for submission of the Joint CMC Statement seven days 7 prior. 8 9 SO STIPULATED. DATED: April 3, 2015 SHARON L. ANDERSON, County Counsel 10 11 By: 12 13 s/ Monika L. Cooper MONIKA L. COOPER Assistant County Counsel Attorneys for Defendants 14 15 DATED: April 3, 2015 RAINS LUCIA STERN, PC 16 17 By: 18 s/ Timothy K. Talbot TIMOTHY K. TALBOT Attorney for Plaintiff 19 20 ORDER 21 PURSUANT TO STIPULATION, IT IS SO ORDERED. The initial CMC is continued 22 to Monday, July 13, 2015, and the deadline to submit the Joint CMC Statement is July 6, 2015. June 29, 2015 June 22, 2015 23 24 25 6 DATED: April ___, 2015 ___________________________________ HON. THELTON E. HENDERSON United States District Court Judge 26 27 28 STIPULATION AND [PROPOSED] ORDER CONTINUING CASE MANAGEMENT CONFERENCE - Case No. C15-00261 TEH 2

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