City of Half Moon Bay v. Great American Insurance Company et al
Filing
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STIPULATION AND ORDER RE CONTINUANCE OF DEADLINE TO FILE STIPULATION REGARDING DISCOVERY AND SCHEDULING PURSUANT TO COURT ORDER DATED DECEMBER 5, 2016. Signed by Judge Richard Seeborg on 12/28/16. (cl, COURT STAFF) (Filed on 12/28/2016)
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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THE CITY OF HALF MOON BAY,
Plaintiff,
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v.
GREAT AMERICAN INS. CO., GREAT
AMERICA INS. GROUP, AMERICAN
NATIONAL FIRE INS. CO., THE
HARTFORD FINANCIAL SERVICES
GROUP, INC., TWIN CITY FIRE INS. CO.,
and DOES 1-50
Defendants.
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CASE NO. 3:15-cv-04500- RS
STIPULATION AND [PROPOSED]
ORDER RE CONTINUANCE OF
DEADLINE TO FILE STIPULATION
REGARDING DISCOVERY AND
SCHEDULING PURSUANT TO COURT
ORDER DATED DECEMBER 5, 2016.
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WHEREAS, the Court has ordered Defendants The Hartford Financial Services Group, Inc.,
and Twin City Fire Ins. Co. (“Defendants”) and Plaintiff The City of Half Moon Bay (“Plaintiff”) to
engage in further meet and confer negotiations with the goal of reaching an agreement regarding the
scope of any further discovery and any appropriate modifications to the existing pre-trial schedule;
WHEREAS Plaintiff and Defendants’ meet and confer negotiations are ongoing;
WHEREAS Plaintiff and Defendants believe additional time will assist the parties in
attempting to narrow or eliminate any disagreement;
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STIPULATION AND [PROPOSED] ORDER RE CONTINUANCE OF
DEADLINE TO FILE STIPULATION REGARDING DISCOVERY AND
SCHEDULING PURSUANT TO COURT ORDER DATED DECEMBER 5,
2016.
CASE NO. 3:15-cv-04500-RS
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THEREFORE, pursuant to N.D. Cal. L.R. 6, Plaintiff and Defendants hereby STIPULATE
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AND RESPECTFULLY REQUEST that the deadline to file either a stipulation reflecting their
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agreement on discovery and scheduling issues, or a joint statement setting out their respective points
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of disagreement, pursuant to the Court’s order dated December 5, 2016, be extended from December
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29, 2016 to January 6, 2017.
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IT IS SO STIPULATED.
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Dated:
December 27, 2016
HAYES SCOTT BONINO ELLINGSON &
McLAY, LLP
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By: /s/ Miranda H. Turner
STEPHEN M. HAYES, ESQ.
JOSHUA N. KASTAN, ESQ.
Attorneys for Defendants
THE HARTFORD FINANCIAL SERVICES
GROUP, INC. and TWIN CITY FIRE INS. CO.
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Dated:
December 27, 2016
GIBBONS & CONLEY
By: /s/ Peter A. Urhausen
PETER A. URHAUSEN, ESQ.
Attorney for Plaintiff CITY OF HALF MOON
BAY
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STIPULATION AND [PROPOSED] ORDER RE CONTINUANCE OF
DEADLINE TO FILE STIPULATION REGARDING DISCOVERY AND
SCHEDULING PURSUANT TO COURT ORDER DATED DECEMBER 5,
2016.
CASE NO. 3:15-cv-04500-RS
[PROPOSED] ORDER
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Having considered the above stipulation regarding the deadline to file either a stipulation
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reflecting their agreement on discovery and scheduling issues, or a joint statement setting out their
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respective points of disagreement, pursuant to the Court’s order dated December 5, 2016, the Court
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hereby adopts the terms of the stipulation as the order of this Court.
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The above deadline is hereby extended from December 29, 2016 to January 6, 2017.
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IT IS SO ORDERED.
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Dated: 12/28/16
By:
THE HONORABLE RICHARD SEEBORG
JUDGE OF THE U.S. DISTRICT COURT
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STIPULATION AND [PROPOSED] ORDER RE CONTINUANCE OF
DEADLINE TO FILE STIPULATION REGARDING DISCOVERY AND
SCHEDULING PURSUANT TO COURT ORDER DATED DECEMBER 5,
2016.
CASE NO. 3:15-cv-04500-RS
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