Stetson University, Inc.-v-Frederick Acker et al
Filing
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STIPULATION AND ORDER CONTINUING ADR COMPLIANCE AND PLEADING DEADLINES by Hon. William Alsup granting 24 Stipulation.(whalc1, COURT STAFF) (Filed on 7/28/2016)
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Lynde Selden III (SBN 207513)
lselden@keeginharrison.com
Robert L. Harrison (SBN 76710)
rharrison@keeginharrison.com
KEEGIN HARRISON SCHOPPERT SMITH &
KARNER LLP
1000 Fourth Street, Suite 600
San Rafael, California 94901
Telephone: (415) 456-400077
Facsimile: (415) 456-902177
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Attorneys for Plaintiff
Stetson University, Inc.
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
STETSON UNIVERSITY, INC., a
Florida not for profit corporation,
Plaintiff,
v.
FREDERICK G. ACKER, as personal
representative of the Estate of C. Paul
Johnson a/k/a Chauncey Paul Johnson;
THE C. PAUL JOHNSON FAMILY
CHARITABLE FOUNDATION, an
entity of unknown form; and
FREDERICK G. ACKER, as Trustee of
the C. Paul Johnson 2003 Trust,
CASE NO. C 16-1905-WHA
STIPULATION AND [PROPOSED] ORDER
CONTINUING ADR COMPLIANCE AND
PLEADING DEADLINES
Judge:
Hon. William Alsup
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Defendants,
__________________________________
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Order re:
STIPULATION RE: CONTINUING ADR AND
PLEADING DEADLINES
CASE NO. C 16-1905-WHA
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WHEREAS the Complaint in the action captioned Stetson University, Inc. v.
Frederick G. Acker, et al., No. C 16-1905, was filed in this Court on April 11, 2016;
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WHEREAS a First Amended Complaint in this action was filed on May 5, 2016;
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WHEREAS, this action was re-assigned to U.S. District Judge William Alsup on
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June 23, 2016;
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WHEREAS the parties desire to establish uniform dates for events in this action,
including the date by which these defendants must respond to the First Amended Complaint;
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WHEREAS another counsel for defendants will be on vacation from August 5 to
August 21, 2016;
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WHEREAS counsel for the parties met and conferred regarding initial
disclosures, early settlement, ADR process selection, and discovery plans on July 25, 2016; and
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WHEREAS counsel for the parties wish to advise their respective clients
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regarding the substance of the July 25, 2016 meet and confer, before their clients must execute
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the ADR certifications.
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THEREFORE, IT IS HEREBY STIPULATED THAT:
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1.
The last day to file ADR Certifications and related Stipulations or
Notices shall be continued to July 27, 2016;
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2.
Defendants Frederick G. Acker, as personal representative of the Estate
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of C. Paul Johnson a/k/a Chauncey Paul Johnson and Frederick G. Acker, as Trustee of the C.
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Paul Johnson 2003 Trusts’ deadline to answer, move or otherwise respond to the First Amended
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Complaint shall be August 29, 2016.
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CASE NO. C 16-1905-WHA
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Dated: July 25, 2016
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Respectfully submitted,
KEEGIN HARRISON SCHOPPERT SMITH
& KARNER LLC
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/s/ Lynde Selden III
Lynde Selden III (SBN 207513)
lselden@keeginharrison.com
Robert L. Harrison (SBN 76710)
rharrison@keeginharrison.com
1000 Fourth Street, Suite 600
San Rafael, California 94901
Telephone: (415) 456-4000
Facsimile: (415) 456-9021
Attorneys for Plaintiff Stetson University, Inc.
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Dated: July 25, 2016
McDERMOTT WILL & EMERY LLP
/s/ A. Marisa Chun
A. Marisa Chun
275 Middlefield Road, Suite 100
Menlo Park, CA 94025
Telephone: (650) 815-7400
Facsimile: (650) 815-7401
Mchun@mwe.com
Attorneys for Defendants Frederick G. Acker,
as personal representative of the Estate of C.
Paul Johnson a/k/a Chauncey Paul Johnson
and Frederick G. Acker, as Trustee for The C.
Paul Johnson 2003 Trust
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In accordance with Civil Local Rule 5-1(i)(3) of this Court, I, Lynde Selden III, attest to
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the fact that concurrence in the filing of this document has been obtained from the other
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signatory which shall serve in lieu of his or her signature on the document.
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/s/ Lynde Selden III
LYNDE SELDEN III
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CASE NO. C 16-1905-WHA
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[PROPOSED] ORDER
The above STIPULATION AND [PROPOSED] ORDER CONTINUING ADR
COMPLIANCE and PLEADING DEADLINES is APPROVED.
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The last day to file ADR Certifications and related Stipulations or Notices
shall be continued to July 27, 2016;
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Defendants Frederick G. Acker, as personal representative of the Estate of
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C. Paul Johnson a/k/a Chauncey Paul Johnson and Frederick G. Acker, as Trustee of the C. Paul
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Johnson 2003 Trusts’ deadline to answer, move or otherwise respond to the First Amended
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Complaint shall be August 29, 2016.
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IT IS SO ORDERED.
Dated: July 28, 2016.
HONORABLE WILLIAM ALSUP
UNITED STATES DISTRICT JUDGE
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CASE NO. C 16-1905-WHA
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