VACC, Inc. v. Davis
Filing
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STIPULATION AND ORDER TO EXTEND THE DEADLINE FOR MEDIATION AND OTHER DEADLINES SET FORTH IN THE COURT'S SCHEDULING ORDER: Mediation deadline is 9/29/2016; Amended Complaint due by 9/15/2016; responsive pleadings due 10/15/2016; Case Management Statement due by 10/7/2016. Further Case Management Conference set for 10/14/2016 at 02:00 PM in Courtroom G, 15th Floor, San Francisco. Signed by Judge Joseph C. Spero on 9/2/2016. (afmS, COURT STAFF) (Filed on 9/2/2016)
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MARK S. POSARD (SBN 208790)
mposard@gordonrees.com
SUSAN B. MEYER (SBN 204931)
smeyer@gordonrees.com
GORDON REES SCULLY MANSUKHANI, LLP
1111 Broadway, Suite 1700
Oakland, CA 94607
Telephone: (510) 463-8600
Facsimile: (510) 984-1721
MICHAEL D. KANACH (SBN 271215)
mkanach@gordonrees.com
GORDON REES SCULLY MANSUKHANI, LLP
275 Battery Street, Suite 2000
San Francisco, CA 94111
Telephone: (415) 986-5900
Facsimile: (415) 986-8054
Attorneys for Plaintiff,
VACC, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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VACC, INC., a California Corporation
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Plaintiff,
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vs.
STIPULATION TO EXTEND THE
DEADLINE FOR MEDIATION AND
OTHER DEADLINES SET FORTH IN THE
COURT’S SCHEDULING ORDER
JON BYRON DAVIS (aka J. Byron Davis),
an individual,
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CASE NO. 3:16-cv-01350-JCS
Complaint Filed: March 18, 2016
Defendant.
Trial Date: None Assigned
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STIPULATION TO EXTEND DEADLINE FOR MEDIATION
AND OTHER DEADLINES
Case No. 3:16-cv-01350-JCS
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Pursuant to Local Rule 6-2 and 6-1(b) Plaintiff VACC, Inc. and Defendant, Jon Byron
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Davis, by and through their counsel of record, hereby stipulate to extend the deadline for
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mediation and related deadlines, which modifies the deadlines set forth in ECF 27 and 30.
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WHEREAS, the parties stipulate to extend the deadline for mediation from September 13,
2016 (as stipulated to in the ECF 30), to September 29, 2016.
WHEREAS, the parties have scheduled mediation to occur on September 29, 2016, with
Catherine Yanni of JAMS.
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WHEREAS, the parties’ counsel have also scheduled a call with Catherine Yanni on
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September 6, 2016, to discuss whether the parties can come to an agreement for purposes of
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sharing information for mediation when the documents are properly designated “Highly
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Confidential Attorneys Eyes Only” by the other party pursuant to the Protective Order.
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WHEREAS, the parties further stipulate to extend the following dates from the Court’s
Scheduling Order (ECF 27), to be consistent with the extension of the mediation date:
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complaint for two weeks to September 15, 2016.
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The parties further stipulate to extend the deadline for Plaintiff to file an amended
The parties stipulate to extend the deadline for Defendant file a responsive
pleading to the amended complaint for two weeks to October 15, 2016.
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The parties further stipulate to reschedule the Further Case Management
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Conference to October 14, 2016, at 2:00 pm, so it occurs after the scheduled
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mediation, rather than before.
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The parties further stipulate to submit a Further Case Management Conference
Statement on or by October 7, 2016.
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WHEREAS, the parties stipulate to the foregoing extensions.
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WHEREAS, the parties have engaged in early discovery, in preparation for early
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mediation, pursuant to ECF 27;
WHEREAS, the extensions of time are modified to be consistent with the Court’s previous
scheduling order, set forth after the Initial Case Management Conference;
-1STIPULATION TO EXTEND DEADLINE FOR MEDIATION
AND OTHER DEADLINES
Case No. 3:16-cv-01350-JCS
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WHEREAS, consistent with the reasoning behind the schedule set forth in the Scheduling
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Order (ECF 27), the extensions of time will assist the parties in engaging in mediation without
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additional costs;
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WHEREAS, the only previous extension in this case was for the Defendant to answer the
Complaint, which was further extended at the Initial Case Management Conference; and
WHEREAS, the foregoing extensions of time will not alter the date of any other event or
any deadline already fixed by Court order.
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Dated: September 1, 2016
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GORDON REES SCULLY MANSUKHANI, LLP
By:
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Dated: September 1, 2016
/s/ Michael Kanach
Mark S. Posard
Susan B. Meyer
Michael D. Kanach
Attorneys for Plaintiff
VACC, INC
AD ASTRA LAW GROUP, LLP
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By:
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/s/ Herman Hoying
David Nied
Herman J. Hoying
Attorneys For Defendant
JON BYRON DAVIS
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-2STIPULATION TO EXTEND DEADLINE FOR MEDIATION
AND OTHER DEADLINES
Case No. 3:16-cv-01350-JCS
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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The mediation deadline is September 29, 2016.
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Plaintiff shall file their amended complaint by September 15, 2016.
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Any responsive pleading to the amended complaint shall be due by October 15, 2016.
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An updated joint case management conference statement shall be due by October 7, 2016.
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A further case management conference is set for October 14, 2016, at 2:00 PM.
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DATED: ________________________
September 2, 2016
_____________________________________
Honorable Joseph C. Spero.
United States Chief Magistrate Judge
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1110973/29507704v.1
-3STIPULATION TO EXTEND DEADLINE FOR MEDIATION
AND OTHER DEADLINES
Case No. 3:16-cv-01350-JCS
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