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)
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
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14
UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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Plaintiff,
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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 __________________________________
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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
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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
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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
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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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