Zuccaro et al v. Martinez Unified School District et al
Filing
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STIPULATION AND ORDER FOR CONTINUING ADR DEADLINES re 37 : The deadlines to complete mediation is hereby extended through 7/20/2017. Signed by Judge Elizabeth D. Laporte on 1/25/2017. (afmS, COURT STAFF) (Filed on 1/25/2017)
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PETER W. ALFERT, SBN 83139
LAW OFFICES OF PETER ALFERT
A Professional Corporation
200 Pringle Ave., Suite 450
Walnut Creek, California 94596
Telephone: (925) 279-3009
Facsimile: (925) 279-3342
Email: Peter@Alfertlaw.com
TODD BOLEY, SBN 64119
ZOYA YARNYKH, SBN 258062
LAW OFFICES OF TODD BOLEY
2831 Mariner Square, Suite 280
Alameda, CA 94501
Telephone: (510) 836-4500
Facsimile: (510) 649-5170
Email: Boley@Boleylaw.com
Email: Yarnykh@boleylaw.com
Attorneys for Plaintiffs,
STEPHANIE ZUCCARO, and S.G.,
a minor, by and through her guardian
ad litem STEPHANIE ZUCCARO
TIMOTHY P. MURPHY, SBN 120920
DOLORES M. DONOHOE, SBN 111432
EDRINGTON, SCHIRMER & MURPHY
2300 Contra Costa Boulevard, Suite 450
Pleasant Hill, CA 94523-3936
Telephone: (925) 827-3300
Facsimile: (925) 827-3320
Email: TMurphy@esmlawfirm.com
Email: LDonohoe@esmlawfirm.com
Attorney for Defendants,
MARTINEZ UNIFIED SCHOOL
DISTRICT,
DAVID ROBERTSON
MARK E. DAVIS, SBN 79936
DAVIS & YOUNG, APLC
1960 The Alameda, Suite 210
San Jose, CA 95126
Telephone: (408) 244-2166
Facsimile: (408) 244-7815
Email: mdavis@davisyounglaw.com
Attorney for Defendant,
LOUISE DOMBROWSKI
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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STEPHANIE ZUCCARO, and S.G., a minor,
by and through her guardian ad litem
STEPHANIE ZUCCARO
Plaintiffs,
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Case No.: 3:l6-cv-02709 EDL
STIPULATION AND [PROPOSED]
ORDER FOR CONTINUING ADR
DEADLINES
vs.
MARTINEZ UNIFIED SCHOOL
DISTRICT, LOUISE DOMBROWSKI,
DAVID ROBERTSON, and DOES 1-30,
Defendants.
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STIPULATION AND [PROPOSED] ORDER FOR CONTINUING ADR DEADLINES
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Plaintiffs STEPHANIE ZUCCARO, and S.G., a minor by and through her guardian ad
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litem STEPHANIE ZUCCARO and defendants MARTINEZ UNIFIED SCHOOL DISTRICT
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DAVID ROBERTSON, and LOUISE DOMBROWSKI, through their attorneys of record,
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hereby stipulate and agree:
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WHEREAS, pursuant to ADR Local Rule 6-4, and the Order referring this matter to
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mediation (Doc. 26), the deadline to complete the mediation in this matter was January 20,
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2017.
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WHEREAS, the appointed mediator, Peter Sherwood, did not contact the parties until
January 23, 2017.
WHEREAS, the parties believe that extending the deadline to complete the mediation be
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extended by six (6) months, through July 20, 2017, so that parties can complete discovery and
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meaningfully participate in the mediation.
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The parties therefore respectfully request that the Court grant this Stipulation.
IT IS SO STIPULATED:
Date: January 24, 2017
LAW OFFICES OF TODD BOLEY
By: /s/ Todd Boley
TODD BOLEY
Attorneys for Plaintiff
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20 Date: January 24, 2017
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EDRINGTON, SCHIRMER & MURPHY LLP
By: /s/ Dolores M. Donohoe
DOLORES M. DONOHOE
Attorney for Defendants
MARTINEZ UNIFIED SCHOOL DISTRICT,
DAVID ROBERTSON
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Date: January 24, 2017
DAVIS & YOUNG, APLC
By: /s/ Mark E. Davis
MARK E. DAVIS
Attorney for Defendant
LOUISE DOMBROWSKI
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STIPULATION AND [PROPOSED] ORDER FOR CONTINUING ADR DEADLINES
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[PROPOSED] ORDER
Pursuant to the Stipulation of the parties and good cause appearing it is hereby ordered as
follows:
The deadlines to complete mediation is hereby extended through July 20, 2017.
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IT IS HEREBY ORDERED.
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Dated: January 25, 2017
______________________________
ELIZABETH LAPORTE
Magistrate Judge
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STIPULATION AND [PROPOSED] ORDER FOR CONTINUING ADR DEADLINES
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