Mason v. MediFit Corporate Services, Inc., et al

Filing 51

STIPULATION AND ORDER re 50 STIPULATION WITH PROPOSED ORDER re 43 MOTION to Dismiss [Motion to Enforce Settlement and Dismiss Lawsuit] filed by Sheila Mason. Signed by Judge Jon S. Tigar on February 8, 2018. (wsn, COURT STAFF) (Filed on 2/8/2018)

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1 MICHAEL E. ADAMS (SBN: 47278) LAW OFFICES OF MICHAEL E. ADAMS 2 702 Marshall Street, Suite 300 Redwood City, CA 94063 3 Telephone: (650) 599-9463 Facsimile: 650) 599-9785 4 Email: michael@michaeleadamslaw.com 5 Attorney for Plaintiff SHELIA MASON 6 7 SEYFARTH SHAW, LLP Brian T. Ashe (SBN 139999) 8 bashe@seyfarth.com Elizabeth J. MacGregor (SBN 267326 9 emacgregor@seyfarth.com 560 Mission Street, 31st Floor 10 San Francisco, CA 94105 Telephone: (415) 397-2823 11 Facsimile: (415) 397-8549 12 Attorneys for Defendant MEDIFIT CORPORATE SERVICES, INC. dba EXOS 13 14 UNITED STATES DISTRICT COURT 15 NORTHERN DISTRICT OF CALIFORNIA 16 17 18 Plaintiff, 19 20 Case No. 17-cv-02542-JST SHELIA MASON vs. 21 MEDIFIT, a foreign corporation, EXOS, 22 a business organization of unknown form, JOLEEN McKAY, and DOES 1 23 to 10, 24 JOINT STIPULATION RE BRIEFING SCHEDULE ON DEFENDANT’S MOTION TO ENFORCE SETTLEMENT AND DISMISS LAWSUIT Complaint filed: December 16, 2016 Defendants. 25 __________________________________ 26 27 28 LAW OFFICES OF MICHAEL E. ADAMS 702 MARSHALLL ST., #300 REDWOOD CITY CA 94063 (650) 599-9463 1 Joint Stipulation re Briefing Schedule on Defendant’s Motion to Enforce Settlement and Dismiss Lawsuit 1 Plaintiff Shelia Mason (“Plaintiff”) and Defendant MediFit Corporate Services, Inc. 2 dba Exos (“Defendant”), by and through their respective undersigned counsel, hereby 3 stipulate, subject to court approval, to revise as follows the briefing schedule on 4 Defendant’s Motion to Enforce Settlement and Dismiss Lawsuit: 5 Item Current due date Proposed due date 6 Plaintiff’s opposition February 9, 2018 February 16, 2018 7 Defendant’s reply February 16, 2018 February 23, 2018 8 The reason for this stipulation is that Plaintiff’s counsel was very recently 9 scheduled to undergo a medical procedure on February 9, 2018, due to which he will be 10 out of the office and unable to work for most of that day. 11 DATED: February 8, 2018 LAW OFFICES OF MICHAEL E. ADAMS 12 13 15 By: /s/ Michael E. Adams _________________________________ Michael E. Adams Attorney for Plaintiff SHEILA MASON 16 DATED: February 8, 2018 SEYFARTH SHAW LLP 17 By: /s/ Elizabeth J. MacGregor _________________________________ Elizabeth J. MacGregor Attorney for for Defendant MEDIFIT CORPORATE SERVICES, INC. dba EXOS 14 18 19 20 21 22 23 24 25 ORDER The parties so stipulating, and good cause appearing. IT IS SO ORDERED. DATE: February __, 2018 8 __________________________________ HON. JON S. TIGAR UNITED STATES DISTRICT COURT JUDGE 26 27 28 LAW OFFICES OF MICHAEL E. ADAMS 702 MARSHALLL ST., #300 REDWOOD CITY CA 94063 (650) 599-9463 2 Joint Stipulation re Briefing Schedule on Defendant’s Motion to Enforce Settlement and Dismiss Lawsuit

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