Hernande v. Randstad North America, Inc. et al

Filing 31

ORDER GRANTING 30 STIPULATION TO CONTINUE MEDIATION DEADLINE.(whalc2, COURT STAFF) (Filed on 7/12/2016)

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1 5 MCCORMACK AND ERLICH LLP Bryan J. McCormack (SBN 192418) bryan@mcelawfirm.com Paul K. Pfeilschiefter (SBN 301463) paul@mcelawfirm.com 150 Post Street, Suite #742 San Francisco, California 94108 Telephone: (415) 296-8420 Facsimile: (415) 296-8552 6 Attorneys for Plaintiff Ernest J. Hernande 7 SEYFARTH SHAW LLP Andrew M. McNaught (SBN 209093) amcnaught@seyfarth.com Nabeel Ahmad (SBN 301172) nahmad@seyfarth.com 560 Mission Street, 31st Floor San Francisco, California 94105 Telephone: (415) 397-2823 Facsimile: (415) 397-8549 2 3 4 8 9 10 11 12 13 14 Attorneys for Defendants RANDSTAD NORTH AMERICA, INC., RANDSTAD INHOUSE SERVICES, L.P. (incorrectly sued as “RANDSTAD STAFFING, U.S., L.P.”), and CARL ZEISS MEDITEC, INC. (incorrectly sued as “CARL ZEISS MEDITEC GROUP”) 15 UNITED STATES DISTRICT COURT 16 NORTHERN DISTRICT OF CALIFORNIA 17 ERNEST J. HERNANDE, Case No. 3:16-cv-00866 WHA 18 Plaintiff, 19 v. JOINT STIPULATION TO CONTINUE MEDIATION DEADLINE TO SEPTEMBER 27, 2016 20 21 22 23 24 RANDSTAD STAFFING, U.S., L.P., a Delaware Corporation; RANDSTAD NORTH AMERICA, INC., a Delaware Corporation; CARL ZEISS MEDITEC GROUP, a New York Corporation; and DOES 1 through 25, inclusive, Defendants. 25 26 Pursuant to Civil Local Rules 6-1(b), 6-2, and 7-12, Plaintiff Ernest J. Hernande 27 (“Plaintiff”) and Defendants Randstad North America, Inc., Randstad Inhouse Services, L.P. 28 (incorrectly sued as “Randstad Staffing, U.S., L.P.”) (collectively “Randstad”), and Carl Zeiss Joint Stipulation to Continue Mediation Deadline / Case No. 16-cv-00866-WHA 1 Meditec, Inc. (incorrectly sued as “Carl Zeiss Meditec Group”) (“Carl Zeiss”) (collectively 2 “Defendants”) hereby stipulate as follows: 3 WHEREAS, in the Court’s Case Management Order and Reference to ADR Unit for 4 Mediation, the Court ordered the parties to mediation within 90 days of June 1, 2016, or by 5 August 30, 2016; 6 7 8 9 WHEREAS, in the Court’s Notice of Appointment of Mediator filed on June 8, 2016, the Court notified the parties that Christine Noma is assigned as the mediator; WHEREAS, the parties have worked diligently to agree to mediation before Christine Noma and set a mediation date. The parties have agreed, subject to the Court approving the 10 extension of the mediation deadline, to mediate with Christine Noma in Oakland, California on 11 September 27, 2016. The parties have set and Ms. Noma has approved September 27, 2016 as the 12 mediation date. September 27, 2016 is the earliest date all the parties and Ms. Noma are available 13 for mediation based on scheduling issues. Continuing the mediation deadline to September 27, 14 2016 will also allow the parties sufficient time to conduct discovery to make for a productive 15 mediation session. 16 17 18 NOW THEREFORE, THE PARTIES AGREE AND STIPULATE that the mediation deadline be continued to September 27, 2016 subject to approval by the Court. Pursuant to Local Rule 6-2, there have been no other time modifications in this case, and 19 it is not anticipated that this extension will affect the schedule for the case. Moreover, pursuant to 20 Local Rule 6-2, the Declaration of Nabeel Ahmad is attached as Exhibit A to the Stipulation. 21 IT IS SO STIPULATED. 22 23 24 25 26 27 28 2 Joint Stipulation to Continue Mediation Deadline / Case No. 16-cv-00866-WHA 1 DATED: July 7, 2016 Respectfully submitted, 2 MCCORMACK AND ERLICH LLP 3 By: /s/ Paul K. Pfeilschiefter Bryan J. McCormack Paul K. Pfeilschiefter 4 5 Attorneys for Plaintiff ERNEST J. HERNANDE 6 7 8 DATED: July 7, 2016 Respectfully submitted, 9 SEYFARTH SHAW LLP 10 By: /s/ Nabeel Ahmad Andrew M. McNaught Nabeel Ahmad 11 12 Attorneys for Defendants RANDSTAD NORTH AMERICA, INC., RANDSTAD INHOUSE SERVICES, L.P. (incorrectly sued as “RANDSTAD STAFFING, U.S., L.P.”), and CARL ZEISS MEDITEC, INC. (incorrectly sued as “CARL ZEISS MEDITEC GROUP”) 13 14 15 16 17 18 PURSUANT TO STIPULATION, IT IS SO ORDERED. 19 20 July 12, 2016. Dated:____________________ By: Hon. William H. Alsup JUDGE OF THE UNITED STATES DISTRICT COURT 21 22 23 24 ATTESTATION PURSUANT TO LOCAL RULE 5-1(i)(3) I, Nabeel Ahmad, attest that concurrence in the filing of this stipulation has been obtained 25 from the signatory, Paul K. Pfeilschiefter, counsel for Plaintiff. 26 DATED: July 7, 2016 By: 27 /s/ Nabeel Ahmad Nabeel Ahmad 28 3 Joint Stipulation to Continue Mediation Deadline / Case No. 16-cv-00866-WHA

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