Oscar Cano v. Home Depot U.S.A., Inc.
Filing
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STIPULATION AND ORDER RE 24 TO EXTEND DEADLINE FOR CONDUCTING MEDIATION.Signed by Judge Richard Seeborg on 3/6/17. (cl, COURT STAFF) (Filed on 3/6/2017)
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GARY T. LAFAYETTE (SBN 88666)
E-Mail: glafayette@lkclaw.com
BRIAN H. CHUN (SBN 215417)
E-Mail: bchun@lkclaw.com
LAFAYETTE & KUMAGAI LLP
1300 Clay Street, Suite 810
Oakland, California 94612
Telephone: (415) 357-4600
Facsimile: (415) 357-4605
Attorneys for Defendant
HOME DEPOT U.S.A., INC.
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(415) 357-4600
(415) 357-4605
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FAX
810
94612
CLAY STREET, SUITE
ATTORNEYS AT LAW
OAKLAND, CALIFORNIA
1300
LAFAYETTE & KUMAGAI LLP
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SETH E. TILLMON (SBN 246240)
E-Mail: seth@tillmonlaw.com
LAW OFFICE OF SETH E. TILLMON
10008 National Blvd., #115
Los Angeles, California 90034
Telephone: (310) 559-1604
Facsimile: (424) 675-2811
Attorneys for Plaintiff
OSCAR CANO
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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OSCAR CANO, an individual,
Case No. 16-cv-05193-RS
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Plaintiff,
STIPULATION AND REQUEST TO
EXTEND DEADLINE FOR
CONDUCTING MEDIATION;
[PROPOSED] ORDER
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vs.
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HOME DEPOT U.S.A., INC. and DOES 1
through 50, inclusive,
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Defendants.
Ctrm: 3, 17th Floor
Judge: Hon. Richard Seeborg
Action Filed: March 3, 2016
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JOINT CASE MANAGEMENT STATEMENT (Case No. 16-cv-05193-RS)
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STIPULATION AND REQUEST
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Plaintiff Oscar Cano (“Plaintiff”) and Defendant Home Depot U.S.A., Inc. (“Defendant”)
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(collectively referred to as the “Parties”) through their respective counsel hereby stipulate and
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request as follows:
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WHEREAS on December 15, 2016, the Court issued a Case Management Scheduling
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Order referring the Parties “to the court’s ADR department for the purpose of engaging in mediation
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to take place, ideally, within the next 90 days,” i.e., by March 15, 2017;
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WHEREAS the Parties subsequently scheduled a mediation to take place on March 10,
2017 with court-appointed mediator Kyungah “Kay” Suk (the “Mediator”);
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productive mediation due to scheduling conflicts; and
(415) 357-4600
(415) 357-4605
12
FAX
810
94612
CLAY STREET, SUITE
ATTORNEYS AT LAW
OAKLAND, CALIFORNIA
1300
LAFAYETTE & KUMAGAI LLP
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WHEREAS, the Parties have been unable to complete the discovery needed for a
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WHEREAS the Parties and the Mediator have rescheduled the mediation for April 7,
2017;
NOW, THEREFORE, IT IS HEREBY STIPULATED AND REQUESTED by and
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between the Parties through their respective attorneys of record that the deadline to conduct
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mediation be extended from March 15, 2017 to April 7, 2017.
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DATED: March 6, 2017
LAW OFFICE OF SETH E. TILLMON
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/s/ Seth E. Tillmon
SETH E. TILLMON
Attorney for Plaintiff
OSCAR CANO
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DATED: March 6, 2017
LAFAYETTE & KUMAGAI LLP
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/s/ Brian H. Chun
BRIAN H. CHUN
Attorneys for Defendant
HOME DEPOT U.S.A, INC.
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JOINT CASE MANAGEMENT STATEMENT (Case No. 16-cv-05193-RS)
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SIGNATURE ATTESTATION
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I hereby attest that I have obtained the concurrence of Seth E. Tillmon, counsel for
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Plaintiff, for the filing of this stipulation.
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/s/ Brian H. Chun
BRIAN H. CHUN
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ORDER
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Good cause appearing therefor and pursuant to the parties’ stipulation, it is hereby
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ORDERED that the Parties’ deadline for conducting mediation be extended to April 7, 2017.
PURSUANT TO STIPULATION, IT IS SO ORDERED.
(415) 357-4600
(415) 357-4605
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FAX
810
94612
CLAY STREET, SUITE
ATTORNEYS AT LAW
OAKLAND, CALIFORNIA
1300
LAFAYETTE & KUMAGAI LLP
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DATED:
3/6
, 2017
RICHARD SEEBORG
United States District Judge
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JOINT CASE MANAGEMENT STATEMENT (Case No. 16-cv-05193-RS)
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