M.F. v. Hayward Unified School District et al
Filing
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STIPULATION AND ORDER REQUESTING EARLY SETTLEMENT CONFERENCE AND RESPONSIVE PLEADINGS DEADLINE. Signed by Judge Richard Seeborg on 1/26/17. (cl, COURT STAFF) (Filed on 1/26/2017)
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STEVEN D. WERTH, State Bar No. 121153
swerth@aghwlaw.com
ALLEN, GLAESSNER, HAZELWOOD & WERTH, LLP
180 Montgomery Street, Suite 1200
San Francisco, CA 94104
Telephone:
(415) 697-2000
Facsimile:
(415) 813-2045
Attorneys for Defendant
SENECA FAMILY OF AGENCIES
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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180 Montgomery Street, Suite 1200
San Francisco, California 94104
ALLEN, GLAESSNER, HAZELWOOD & WERTH, LLP
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SAN FRANCISCO DIVISION
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M.F., a minor, by and through his Parent
and Guardian, at Litem, Stephanie
FARRAJ,
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Plaintiff,
Case No. 3:16-cv-06409-RS
STIPULATION AND [PROPOSED] ORDER
REQUESTING EARLY SETTLEMENT
CONFERENCE AND RESPONSIVE
PLEADINGS DEADLINE
v.
Hon. Richard Seeborg
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HAYWARD UNIFIED SCHOOL
DISTRICT, SENECA FAMILY OF
AGENCIES and individuals Eydie DaltonSausedo, Tammy Watson, Charmaine
Wood, Jonathan Lyon, Edward Dorsey,
Itoco Garcia, Matthew Clark, Miriam
Galavin; and DOES 1-50, inclusive,
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Trial:
None set
Defendants.
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The parties, by and through their counsels, have reached the following stipulation:
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1.
This action was filed on November 2, 2016. All defendants have been served and
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plaintiff’s certificate of service was filed on January 11, 2017. An ADR Phone Conference is
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scheduled for January 31, 2017 at 11:30 a.m.
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2.
All parties have agreed to participate in an early settlement conference before a
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Magistrate Judge of the Court by February 28, 2017, or such date thereafter as is convenient for
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the Court.
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149316.1
STIP AND ORDER RE ESC AND
RESPONSIVE PLEADING DEADLINE
3:16-CV-06409-RS
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3.
In the interest of avoiding unnecessary expenses and costs, all parties further agree
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that all named defendants’ responsive pleadings to plaintiff’s complaint are to be filed and served
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30-days from the date of the early settlement conference.
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Respectfully submitted,
Dated: January 25, 2017
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ALLEN, GLAESSNER,
HAZELWOOD & WERTH, LLP
By:
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180 Montgomery Street, Suite 1200
San Francisco, California 94104
ALLEN, GLAESSNER, HAZELWOOD & WERTH, LLP
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Dated: January ___, 2017
/s/ Steven D. Werth
STEVEN D. WERTH
Attorneys for Defendants
SENECA FAMILY OF AGENCIES
TOLLNER LAW GROUP
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By:
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DAVID TOLLNER
SARAH FAIRCHILD
AMANDA O’NEIL
Attorneys for Plaintiff
M.F., a minor, by and through his Parent and
Guardian ad Litem, Stephanie FARRAJ
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Dated: January ___, 2017
MATHENY, SEARS, LINKERT & JAIME, LLP
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By:
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RONALD E. ENABNIT
Attorneys for Defendants HAYWARD
UNIFIED SCHOOL DISTRICT, EYDIE
DALTON-SAUSEDO, TAMMY WATSON,
CHARMAINE WOOD, JONATHAN LYON,
EDWARD DORSEY, ITOCO GARCIA,
MATTHEW CLARK, MIRIAM GALAVIN
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IT IS SO ORDERED.
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DATED: 1/26/17
HONORABLE RICHARD SEEBORG
UNITED STATES DISTRICT COURT JUDGE
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149316.1
STIP AND ORDER RE ESC AND
RESPONSIVE PLEADING DEADLINE
3:16-CV-06409-RS
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