Pension Plan for Pension Trust Fund for Operating Engineers et al -v- Clyde Wheeler Pipeline, Inc., et al
Filing
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ORDER GRANTING re 12 Stipulation Extending Defendants' Time to Respond to Plaintiffs' Complaint filed by Richard Piombo, Pension Plan for Pension Trust Fund for Operating Engineers, Russell E. Burns. Signed by Chief Magistrate Judge Joseph C. Spero on 6/10/16. (klhS, COURT STAFF) (Filed on 6/10/2016)
1 ANNE M. BEVINGTON (SBN 111320)
SHAAMINI A. BABU (SBN 230704)
2 ANJULI M. CARGAIN (SBN 270546)
SALTZMAN & JOHNSON LAW CORPORATION
3 44 Montgomery Street, Suite 2110
San Francisco, CA 94104
4 Telephone: (415) 882-7900
Facsimile: (415) 882-9287
5 Email: abevington@sjlawcorp.com
sbabu@sjlawcorp.com
acargain@sjlawcorp.com
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7 Attorneys for Plaintiffs
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UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
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PENSION PLAN FOR PENSION TRUST
11 FUND FOR OPERATING ENGINEERS;
RICHARD PIOMBO and RUSSELL E.
12 BURNS, as Trustees,
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Case No.: CV 16-02339-JCS
_____________
STIPULATION EXTENDING
DEFENDANTS’ TIME TO RESPOND
TO PLAINTIFFS’ COMPLAINT
Plaintiffs,
14 vs.
15 CLYDE WHEELER PIPELINE, INC., CLYDE
16 WHEELER an Individual and Trustee of the
WHEELER REVOCABLE TRUST DATED
17 SEPTEMBER 28, 1994, MICHAEL
WHEELER CONSTRUCTION, INC.; and
18 DOES 1-10,
19
Defendants.
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Pursuant to Local Rule 6-1(a), IT IS HEREBY STIPULATED by and between Defendants
21 Clyde Wheeler Pipeline, Inc., Clyde Wheeler, an individual and trustee of the Wheeler Revocable
22 Trust dated September 28, 1994, and Michael Wheeler Construction, Inc., and Plaintiffs Pension
23 Plan for Pension Trust Fund for Operating Engineers, and Richard Piombo and Russell E. Burns,
24 as Trustees, through their attorneys of record, Raimondo & Associates, and Saltzman & Johnson
25 Law Corporation, that Defendants’ time within which to answer or otherwise respond to Plaintiffs'
26 Complaint is extended from June 7, 2016, until June 10, 2016.
27
Plaintiffs filed a Complaint in this action on April 29, 2016. (Docket No. 1). Defendants
28 were served on May 17, 2016. (Docket Nos. 5-11). On June 8, 2016, Plaintiffs’ counsel was
STIPULATION EXTENDING TIME TO ANSWER COMPLAINT
CASE NO. CV 16-02339 JCS
P:\CLIENTS\OE3WL\CASES\Clyde Wheeler Pipeline - Michael Wheeler Pipeline\Answer\Joint Stip to Extend Time to AnswerV2.doc
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1 informed that Defendants’ have retained Raimondo & Associates to represent them in this matter,
2 and that an extension of time to Answer the complaint until June 10, 2016, was needed. This
3 extension constitutes the first extension of time of Defendants to file an Answer to the Complaint.
4 This change shall not alter the date of any conference set by the Court nor will it affect the meet
5 and confer and initial disclosure schedule.
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7 Dated: June 9, 2016
SALTZMAN & JOHNSON LAW CORPORATION
By: __/s/____________________________
Anjuli M. Cargain, Esq.
Attorney for Plaintiffs
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Dated: June 9, 2016
RAIMONDO & ASSOCIATES
By: _/s/____________________________
Anthony Raimondo, Esq.
Attorney for Defendants
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Spero
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Judge Jo
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Dated: 6/10/16
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STIPULATION EXTENDING TIME TO ANSWER COMPLAINT
CASE NO. CV 16-02339 JCS
P:\CLIENTS\OE3WL\CASES\Clyde Wheeler Pipeline - Michael Wheeler Pipeline\Answer\Joint Stip to Extend Time to AnswerV2.doc
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