Dytch v. Dong et al
Filing
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ORDER CONTINUING DEADLINE TO CONDUCT JOINT INSPECTION OF PREMISES by Hon. William Alsup granting 16 Stipulation.(whalc1, COURT STAFF) (Filed on 4/18/2017)
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MARK A. DELGADO, #215618
mdelgado@donahue.com
DONAHUE FITZGERALD LLP
Attorneys at Law
1999 Harrison Street, 25th Floor
Oakland, California 94612-3520
Telephone:
(510) 451-3300
Facsimile:
(510) 451-1527
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Attorneys for Defendants
HI-SUK T. DONG and SANJU
DONG
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ZACHARY M. BEST, #166035
MISSION LAW FIRM, A.P.C.
332 North Second Street
San Jose, California 95112
Telephone (408) 298-2000
Facsimile (408) 298-6046
E-mail: service@mission.legal
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Attorneys for Plaintiff
ALBERT DYTCH
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA – SAN FRANCISCO
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ALBERT DYTCH,
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Case No. 4:17-CV-00636 WHA
Plaintiff,
v.
STIPULATION AND [PROPOSED]
ORDER CONTINUING DEADLINE TO
CONDUCT JOINT INSPECTION OF
PREMISES
HI-SUK T. DONG, individually and dba
MUA OAKLAND BAR &
RESTAURANT; SANJU DONG, an
individual and dba MUA OAKLAND BAR
& RESTAURANT;
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Defendants.
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On February 10, 2017, the Court filed and entered its Scheduling Order for Cases
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Asserting Denial of Right of Access Under Americans with Disabilities Act Title II & III
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(“Order”). Pursuant to the Order, the parties’ deadline to hold a joint inspection of premises in
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accordance with General Order No. 56 is currently May 24, 2017.
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WHEREAS, the parties have been, and continue to be, engaged in discussions regarding
availability for a joint site inspection; and
(30112.00001) #774325.2
Order re:
JOINT STIPULATION TO CONTINUE INSPECTION
CASE 4:17-CV-00636
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WHEREAS, both Defendants are unavailable to attend an inspection in the month of April
due to international travel for a family engagement; and
WHEREAS, Counsel for Defendants is not available to attend an inspection from May 5th
through May 20, 2017, due to preplanned international travel; and
WHEREAS, Defendants' certified access specialist is unavailable to attend an inspection
from May 1st through May 28, 2017, due to preplanned travel; and
WHEREAS, the parties have agreed on a site inspection date of June 2, 2017, at 3:00
p.m.; and
WHEREAS, the parties and their counsel have agreed to extend the deadline to conduct
the Joint Site Inspection to June 12, 2017.
THEREFORE, the parties hereby request that the Court continue the deadline to complete
inspection of the premises in this matter to June 12, 2017.
IT IS SO STIPULATED.
Dated: April 17, 2017
DONAHUE FITZGERALD LLP
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By: /s/ Mark A. Delgado
Mark A. Delgado
Attorneys for Defendants
HI-SUK T. DONG and SANJU DONG
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Dated: April 17, 2017
MISSION LAW FIRM, A.P.C.
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By: /s/ Zachary M. Best
Zachary M. Best
Attorneys for Plaintiff
ALBERT DYTCH
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(30112.00001) #774325.2
Order re:
-2-
JOINT STIPULATION TO CONTINUE INSPECTION
CASE NO. 4:16-CV-05413
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ORDER
Pursuant to the Stipulation of the parties, and for good cause, the Court hereby continues
the deadline to complete inspection of premises to June 12, 2017.
IT IS SO ORDERED.
April 18, 2017.
Dated: __________________
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_________________________________________
HONORABLE WILLIAM H. ALSUP
UNITED STATES DISTRICT JUDGE
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(30112.00001) #774325.2
Order re:
-3-
JOINT STIPULATION TO CONTINUE INSPECTION
CASE NO. 4:16-CV-05413
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