Hernande v. Randstad North America, Inc. et al
Filing
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ORDER GRANTING 30 STIPULATION TO CONTINUE MEDIATION DEADLINE.(whalc2, COURT STAFF) (Filed on 7/12/2016)
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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
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Attorneys for Plaintiff Ernest J. Hernande
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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
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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”)
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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ERNEST J. HERNANDE,
Case No. 3:16-cv-00866 WHA
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Plaintiff,
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v.
JOINT STIPULATION TO CONTINUE
MEDIATION DEADLINE TO
SEPTEMBER 27, 2016
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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.
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Pursuant to Civil Local Rules 6-1(b), 6-2, and 7-12, Plaintiff Ernest J. Hernande
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(“Plaintiff”) and Defendants Randstad North America, Inc., Randstad Inhouse Services, L.P.
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(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
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Meditec, Inc. (incorrectly sued as “Carl Zeiss Meditec Group”) (“Carl Zeiss”) (collectively
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“Defendants”) hereby stipulate as follows:
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WHEREAS, in the Court’s Case Management Order and Reference to ADR Unit for
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Mediation, the Court ordered the parties to mediation within 90 days of June 1, 2016, or by
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August 30, 2016;
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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
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extension of the mediation deadline, to mediate with Christine Noma in Oakland, California on
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September 27, 2016. The parties have set and Ms. Noma has approved September 27, 2016 as the
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mediation date. September 27, 2016 is the earliest date all the parties and Ms. Noma are available
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for mediation based on scheduling issues. Continuing the mediation deadline to September 27,
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2016 will also allow the parties sufficient time to conduct discovery to make for a productive
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mediation session.
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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
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it is not anticipated that this extension will affect the schedule for the case. Moreover, pursuant to
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Local Rule 6-2, the Declaration of Nabeel Ahmad is attached as Exhibit A to the Stipulation.
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IT IS SO STIPULATED.
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Joint Stipulation to Continue Mediation Deadline / Case No. 16-cv-00866-WHA
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DATED: July 7, 2016
Respectfully submitted,
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MCCORMACK AND ERLICH LLP
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By: /s/ Paul K. Pfeilschiefter
Bryan J. McCormack
Paul K. Pfeilschiefter
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Attorneys for Plaintiff
ERNEST J. HERNANDE
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DATED: July 7, 2016
Respectfully submitted,
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SEYFARTH SHAW LLP
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By: /s/ Nabeel Ahmad
Andrew M. McNaught
Nabeel Ahmad
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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”)
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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July 12, 2016.
Dated:____________________
By:
Hon. William H. Alsup
JUDGE OF THE UNITED STATES DISTRICT
COURT
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ATTESTATION PURSUANT TO LOCAL RULE 5-1(i)(3)
I, Nabeel Ahmad, attest that concurrence in the filing of this stipulation has been obtained
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from the signatory, Paul K. Pfeilschiefter, counsel for Plaintiff.
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DATED: July 7, 2016
By:
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/s/ Nabeel Ahmad
Nabeel Ahmad
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Joint Stipulation to Continue Mediation Deadline / Case No. 16-cv-00866-WHA
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