Oscar Cano v. Home Depot U.S.A., Inc.

Filing 25

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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1 2 3 4 5 6 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. 7 8 9 10 (415) 357-4600 (415) 357-4605 12 FAX 810 94612 CLAY STREET, SUITE ATTORNEYS AT LAW OAKLAND, CALIFORNIA 1300 LAFAYETTE & KUMAGAI LLP 11 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 13 14 UNITED STATES DISTRICT COURT 15 NORTHERN DISTRICT OF CALIFORNIA 16 OSCAR CANO, an individual, Case No. 16-cv-05193-RS 17 Plaintiff, STIPULATION AND REQUEST TO EXTEND DEADLINE FOR CONDUCTING MEDIATION; [PROPOSED] ORDER 18 vs. 19 20 HOME DEPOT U.S.A., INC. and DOES 1 through 50, inclusive, 21 Defendants. Ctrm: 3, 17th Floor Judge: Hon. Richard Seeborg Action Filed: March 3, 2016 22 23 24 25 26 27 28 1 JOINT CASE MANAGEMENT STATEMENT (Case No. 16-cv-05193-RS) 1 STIPULATION AND REQUEST 2 Plaintiff Oscar Cano (“Plaintiff”) and Defendant Home Depot U.S.A., Inc. (“Defendant”) 3 (collectively referred to as the “Parties”) through their respective counsel hereby stipulate and 4 request as follows: 5 WHEREAS on December 15, 2016, the Court issued a Case Management Scheduling 6 Order referring the Parties “to the court’s ADR department for the purpose of engaging in mediation 7 to take place, ideally, within the next 90 days,” i.e., by March 15, 2017; 8 9 WHEREAS the Parties subsequently scheduled a mediation to take place on March 10, 2017 with court-appointed mediator Kyungah “Kay” Suk (the “Mediator”); 10 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 11 WHEREAS, the Parties have been unable to complete the discovery needed for a 13 14 WHEREAS the Parties and the Mediator have rescheduled the mediation for April 7, 2017; NOW, THEREFORE, IT IS HEREBY STIPULATED AND REQUESTED by and 15 between the Parties through their respective attorneys of record that the deadline to conduct 16 mediation be extended from March 15, 2017 to April 7, 2017. 17 18 19 DATED: March 6, 2017 LAW OFFICE OF SETH E. TILLMON 20 /s/ Seth E. Tillmon SETH E. TILLMON Attorney for Plaintiff OSCAR CANO 21 22 23 24 DATED: March 6, 2017 LAFAYETTE & KUMAGAI LLP 25 26 27 /s/ Brian H. Chun BRIAN H. CHUN Attorneys for Defendant HOME DEPOT U.S.A, INC. 28 2 JOINT CASE MANAGEMENT STATEMENT (Case No. 16-cv-05193-RS) 1 SIGNATURE ATTESTATION 2 I hereby attest that I have obtained the concurrence of Seth E. Tillmon, counsel for 3 Plaintiff, for the filing of this stipulation. 4 /s/ Brian H. Chun BRIAN H. CHUN 5 6 7 ORDER 8 Good cause appearing therefor and pursuant to the parties’ stipulation, it is hereby 9 10 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 12 FAX 810 94612 CLAY STREET, SUITE ATTORNEYS AT LAW OAKLAND, CALIFORNIA 1300 LAFAYETTE & KUMAGAI LLP 11 13 DATED: 3/6 , 2017 RICHARD SEEBORG United States District Judge 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 JOINT CASE MANAGEMENT STATEMENT (Case No. 16-cv-05193-RS)

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