Williams v. State Farm General Insurance Company

Filing 19

STIPULATION AND ORDER RE 18 to Continue ENE Deadline. Signed by Judge Richard Seeborg on 11/20/17. (cl, COURT STAFF) (Filed on 11/20/2017)

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1 STEPHEN M. HAYES (SBN 83583) STEPHEN P. ELLINGSON (SBN 136505) 2 JAMIE A. RADACK (SBN 221000) HAYES SCOTT BONINO & ELLINGSON, LLP 3 203 Redwood Shores Parkway, Suite 480 Redwood City, California 94065 4 Telephone: 650.637.9100 Facsimile: 650.637.8071 5 Attorneys for Defendant 6 STATE FARM GENERAL INSURANCE COMPANY 7 JOHN T. BELL (SBN 209941) LAW OFFICES OF JOHN T. BELL 8 151 Callan Ave., Suite 102 San Leandro, CA 94577 9 Telephone: 510.895.4044 Facsimile: 510.895.4077 10 Attorney for Plaintiff 11 TYRONE WILLIAMS 12 UNITED STATES DISTRICT COURT 13 NORTHERN DISTRICT OF CALIFORNIA 14 TYRONE WILLIAMS, CASE NO. 17-cv-03415 RS Plaintiff, 15 vs. 16 STIPULATION TO CONTINUE ENE DEADLINE AND [PROPOSED] ORDER 17 STATE FARM GENERAL INSURANCE COMPANY and DOES 1 through 10, 18 INCLUSIVE, 19 Defendants. 20 21 22 TO THE COURT AND ALL PARTIES AND THEIR ATTORNEYS OF RECORD: This stipulation to continue the Early Neutral Evaluation Deadline in the above-referenced 23 24 matter is made and entered into by and between plaintiff Tyrone Williams (“Williams”), and 25 defendant State Farm General Insurance Company (“State Farm”), referred to collectively as the 26 “Parties.” 27 28 827371 -1STIPULATION TO CONTINUE ENE DEADLINE – CASE NO. 17-cv-03415 RS RECITALS 1 1. WHEREAS, counsel for the Parties have conducted the initial Early Neutral Evaluation 2 conference call with Neutral Thomas Reese; 3 2. WHEREAS, during that call, it was determined that the earliest date Mr. Reese and the 4 Parties were mutually available is January 18, 2018; 5 3. WHEREAS, the Court’s September 21, 2017 Case Management Order referred the case 6 7 to Early Neutral Evaluation for the purpose of engaging in Early Neutral Evaluation to 8 take place, “ideally, within the next 90 days;” 4. For these reasons, the Parties have agreed to stipulate to extend the deadline to complete 9 Early Neutral Evaluation to January 31, 2018. 10 II. STIPULATION 11 12 13 The Parties hereby stipulate to continue the deadline to complete Early Neutral Evaluation to January 31, 2018. 14 15 Dated: March 15, 2017 LAW OFFICES OF JOHN T. BELL 16 17 By: /S/ John T. Bell JOHN T. BELL Attorneys for Plaintiff TYRONE WILLIAMS 18 19 20 Dated: March 15, 2017 HAYES SCOTT BONINO & ELLINGSON, LLP 21 22 By /S/ Jamie A. Radack STEPHEN M. HAYES STEPHEN P. ELLINGSON JAMIE A. RADACK NICOLE C. WEBSTER Attorneys for Defendant STATE FARM GENERAL INSURANCE COMPANY 23 24 25 26 27 28 827371 -2STIPULATION TO CONTINUE ENE DEADLINE – CASE NO. 17-cv-03415 RS 1 [PROPOSED] ORDER 2 Pursuant to the stipulated request by all Parties to this action and good cause appearing, the 3 4 Court ORDERS that the deadline to complete the Early Neutral Evaluation in this matter is hereby 5 continued to January 31, 2018. 6 IT IS SO ORDERED. 7 8 9 Dated: 11/20 , 2017 HONORABLE RICHARD SEEBORG UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 827371 -3STIPULATION TO CONTINUE ENE DEADLINE – CASE NO. 17-cv-03415 RS

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