Williams v. State Farm General Insurance Company
Filing
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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)
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
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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
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Attorney for Plaintiff
11 TYRONE WILLIAMS
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
14 TYRONE WILLIAMS,
CASE NO. 17-cv-03415 RS
Plaintiff,
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vs.
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STIPULATION TO CONTINUE ENE
DEADLINE AND [PROPOSED] ORDER
17 STATE FARM GENERAL INSURANCE
COMPANY and DOES 1 through 10,
18 INCLUSIVE,
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Defendants.
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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
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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.”
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827371
-1STIPULATION TO CONTINUE ENE DEADLINE – CASE NO. 17-cv-03415 RS
RECITALS
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1. WHEREAS, counsel for the Parties have conducted the initial Early Neutral Evaluation
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conference call with Neutral Thomas Reese;
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2. WHEREAS, during that call, it was determined that the earliest date Mr. Reese and the
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Parties were mutually available is January 18, 2018;
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3. WHEREAS, the Court’s September 21, 2017 Case Management Order referred the case
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to Early Neutral Evaluation for the purpose of engaging in Early Neutral Evaluation to
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take place, “ideally, within the next 90 days;”
4. For these reasons, the Parties have agreed to stipulate to extend the deadline to complete
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Early Neutral Evaluation to January 31, 2018.
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II.
STIPULATION
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The Parties hereby stipulate to continue the deadline to complete Early Neutral Evaluation to
January 31, 2018.
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Dated: March 15, 2017
LAW OFFICES OF JOHN T. BELL
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By:
/S/ John T. Bell
JOHN T. BELL
Attorneys for Plaintiff
TYRONE WILLIAMS
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20 Dated: March 15, 2017
HAYES SCOTT BONINO & ELLINGSON, LLP
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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
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827371
-2STIPULATION TO CONTINUE ENE DEADLINE – CASE NO. 17-cv-03415 RS
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[PROPOSED] ORDER
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Pursuant to the stipulated request by all Parties to this action and good cause appearing, the
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4 Court ORDERS that the deadline to complete the Early Neutral Evaluation in this matter is hereby
5 continued to January 31, 2018.
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IT IS SO ORDERED.
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9 Dated:
11/20
, 2017
HONORABLE RICHARD SEEBORG
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
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827371
-3STIPULATION TO CONTINUE ENE DEADLINE – CASE NO. 17-cv-03415 RS
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