Anderson v. Chevron U.S.A. Inc.
Filing
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STIPULATION AND ORDER re 31 Joint Stipulation to Continue November 9, 2017 Status Conference and for Continued Tolling filed by Jennifer Anderson. Case Management Statement due by 12/14/2017. Further Case Management Conference set for 12/21/2017 10:30 AM in Courtroom 5, 17th Floor, San Francisco. Signed by Judge Edward M. Chen on 11/6/17. (bpfS, COURT STAFF) (Filed on 11/6/2017)
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RICHARD E. QUINTILONE II (SBN 200995)
ALVIN B. LINDSAY (SBN 220236)
GEORGE A. ALOUPAS (SBN 313112)
QUINTILONE & ASSOCIATES
22974 EL TORO ROAD, SUITE 100
LAKE FOREST, CA 92630
TELEPHONE: (949) 458-9675
FACSIMILE: (949) 458-9679
E-MAIL: REQ@QUINTLAW.COM; ABL@QUINTLAW.COM; GAA@QUINTLAW.COM
Attorneys for Plaintiff, JENNIFER ANDERSON on behalf of herself and on behalf of a Class of all
other persons similarly situated
ROBERT D. EASSA, State Bar No. 107970
robert.eassa@sedgwicklaw.com
DELIA A. ISVORANU, State Bar No. 226750
delia.isvoranu@sedgwicklaw.com
SEDGWICK LLP
333 Bush Street, 30th Floor
San Francisco, CA 94104-2834
Telephone: 415.781.7900
Facsimile: 415.781.2635
Attorneys for Defendant, CHEVRON U.S.A. INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA – SAN FRANCISCO DIVISION
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JENNIFER ANDERSON, on behalf of herself
and on behalf of a Class of all other persons
similarly situated
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Plaintiff,
vs.
CHEVRON U.S.A., INC., a Delaware
Corporation; and DOES 1 through 100,
inclusive,
Defendants.
Case No.: 3:17-cv-00103-EMC
CLASS ACTION
Assigned For All Purposes To:
Hon. Edward M. Chen
[PROPOSED] ORDER GRANTING JOINT
STIPULATION AND AGREEMENT TO
CONTINUE STATUS CONFERENCE AND
FOR CONTINUED TOLLING OF THE FLSA
CLAIMS
Current Status Conference Date:
Date: November 9, 2017
Time: 10:30 a.m.
Location: Courtroom 5, 17th Floor
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Complaint Filed: September 7, 2016
Removed: January 9, 2017
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-1ORDER GRANTING JOINT STIPULATION TO CONTINUE STATUS CONFERENCE AND FLSA TOLLING
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ORDER
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The Court has reviewed the above Joint Stipulation submitted by Plaintiff, Jennifer Anderson
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(“Plaintiff”), on behalf of herself and other similarly situated employees of Defendant Chevron USA
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Inc. (“Defendant”), and Defendant (collectively, “the Parties”).
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With GOOD CAUSE appearing, and pursuant to the Parties’ Joint Stipulation, the Court
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herby ORDERS that the Joint Stipulation is entered consistent with the terms and the Parties’
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agreement and it is hereby ORDERED that:
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1.
The mediation completion deadline of November 1, 2017 is continued to December
1, 2017;
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The Case Management Conference scheduled for November 9, 2017 at 10:30 a.m. is
continued to December 21, 2017 at 10:30 a.m.;
3.
The duration of the tolling period in the parties’ FLSA Tolling Stipulation (Docket
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Entry No. 23) approved by the Court on May 10, 2017 at Docket Entry No. 24 is continued from
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September 14, 2017 to December 31, 2017; and
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The terms of the Court’s Order granting the parties’ FLSA Tolling Stipulation (Docket
Entry No. 24) remain the same except for the continued duration of the tolling period.
IT IS SO ORDERED.
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UNIT
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11/6
Dated: ___________________, 2017.
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________________________________
HON. EDWARD M.ORDERED
CHEN
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IT District Judge
United StatesIS S
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dward
Judge E
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-2ORDER GRANTING JOINT STIPULATION TO CONTINUE STATUS CONFERENCE AND FLSA TOLLING
PROOF OF SERVICE
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I, the undersigned, declare as follows:
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I am a citizen of the United States, over the age of 18 years, and not a party to the within action. I am an
employee of or agent for Quintilone & Associates, whose business address is 22974 El Toro Rd., Suite 100,
Lake Forest, CA 92630-4961.
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On November 1, 2017, I served the foregoing document(s):
[PROPOSED] ORDER GRANTING JOINT STIPULATION AND AGREEMENT
TO CONTINUE STATUS CONFERENCE AND FOR CONTINUED TOLLING
OF THE FLSA CLAIMS
on the following parties in this action addressed as follows:
SEE ATTACHED SERVICE LIST
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______
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(BY FACSIMILE) By use of facsimile machine number 949.458.9679, I served a copy of the
within document(s) on the above interested parties at the facsimile numbers listed above. The
transmission was reported as complete and without error. The transmission report was properly
issued by the transmitting facsimile machine.
___X___
(BY E-MAIL) I caused a true and correct copy of each document to be delivered by Electronic
Mail and through the Court’s ECF system.
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(BY US-MAIL) I caused a true copy of each document, placed in a sealed envelope with postage
fully paid, to be placed in the United States mail at Lake Forest, California. I am "readily
familiar" with this firm's business practice for collection and processing of mail, that in the
ordinary course of business said document(s) would be deposited with the U.S. Postal Service on
that same day. I understand that the service shall be presumed invalid if the postal cancellation
date or postage meter date on the envelope is more than one day after the date of deposit for
mailing contained on this affidavit.
(BY OVERNIGHT DELIVERY) I caused a true copy of each document, placed in a sealed
envelope with delivery fees provided for, to be deposited in a box regularly maintained by Federal
Express or Overnight Express. I am readily familiar with this firm's practice for collection and
processing of documents for overnight delivery and know that in the ordinary course of
Quintilone & Associates’ business practice the document(s) described above will be deposited in a
box or other facility regularly maintained by Federal Express or Overnight Express or delivered to
a courier or driver authorized by Federal Express or Overnight Express to receive documents on
the same date it is placed at Quintilone & Associates for collection.
Executed on November 1, 2017, at Lake Forest, California
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(FEDERAL) I declare under penalty of perjury that the above is true and correct.
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(STATE) I declare under penalty of perjury that the above is true and correct.
_______________________
ALVIN B. LINDSAY
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-1PROOF OF SERVICE
SERVICE LIST
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Robert D. Eassa, Esq.
Delia A. Isvoranu, Esq.
Sedgwick, LLP
333 Bush Street, 30th Floor
San Francisco, CA 94104-2834
Phone: 415.627.1578 direct
Fax: 877.547.2780
Email: Robert.Eassa@sedgwicklaw.com
Delia.Isvoranu@sedgwicklaw.com
Counsel for Defendant Chevron U.S.A, Inc.
Roger Carter, Esq.
Co-counsel for Plaintiff and Class
Bianca A. Sofonio, Esq.
The Carter Law Firm
23 Corporate Plaza Drive, Suite 150
Newport Beach Ca 92660
Telephone: (949) 629-2565
Email: rcarter@carterlawfirm.net; bianca@carterlawfirm.net
Marc H. Phelps, Esq.
The Phelps Law Group
23 Corporate Plaza Drive, Suite 150
Newport Beach CA 92660
Telephone: (949) 629-2565
Email: marc@phelpslawgroup.com
Co-counsel for Plaintiff and Class
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Q&A Case No.: 16.01263
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-2PROOF OF SERVICE
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