Buschbacher, et al v Mt. Hawley Insurance Company

Filing 23

STIPULATION AND ORDER TO EXTEND TIME IN WHICH TO COMPLETE MEDIATION re 22 MOTION for Extension of Time to File filed by Valda Kinney. Signed by Judge Jon S. Tigar on December 14, 2017. (wsn, COURT STAFF) (Filed on 12/14/2017)

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1 2 3 4 5 INSURANCE LITIGATORS & COUNSELORS, PLC. JOSEPH JOHN TURRI, SBN 181994 ATTILA PANCZEL, SBN 250799 445 North State Street [P.O. Box 940] Ukiah, CA 95482 Tel.: (707) 462-6117 Fax.:(707) 230-5525 instenn inator@aol.com Attorneys for Plaintiffs 6 7 8 9 10 MICHAEL D. PROUGH (NO.l68741) DEAN C. BURNICK (NO. 146914) MORISON & PROUGH, LLP mdp@morisonprough.law Telephone: (925) 937-9990 Facsimile: (925) 937-3272 Attorneys for Defendants UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA 11 12 13 14 15 16 KORLA BUSCHBACHER, Individually, and dba BUSCH CONSTRUCTION & ELECTRIC, and VALDA KINNEY, as Assignee, from KORLA BUSCHBACHER, CASE NO. 3:17-cv-03946-JST STIPULATION TO EXTEND TIME IN WIDCH TO COMPLETE MEDIATON AND [PROPSED] ORDER THEREON Plaintiffs, vs. 17 18 19 MT. HAWLEY INSURANCE COMPANY; RLI INSURANCE SERVICES; and Does 1-10 Trial Date: November 26,2018 Defendants. 20 21 Counsel for Plaintiffs, Korla Buschbacher ("Buschbacher "and Valda Kinney ("Kinney") 22 and Defendants, Mt. Hawley Insurance Company ("Mt. Hawley") and RLI Insurance Services 23 ("RLI") jointly submit this request and stipulation to extend the time in which to complete 24 mediation (currently ordered to be completed by January 2, 20 18) until February 16, 2018. The 25 request is based on the fact that Valda Kinney, Trustee, one of the Plaintiffs in this matter, has Stipulation to Extend Time in Which to Complete Mediation and [Proposed] Order Thereon 1 1 significant health issues which is requiring her to step down as the Trustee and that her successor 2 Trustee step in her shoes. The counsel for the parties have had a conference with the mediator and 3 coordinated their respective calendars, and request, with the Court's permission, to have the 4 meditation on February 2, 2018; and hopefully have a meaningful and successful mediation 5 process completed by February 16, 2018. As such the parties hereby stipulate to and request the 6 Court to allow the parties to extend the date in which to complete the mediation process until 7 8 9 10 11 February 16, 2018. I Joseph John Turri, attest that I have on file a holographic signature corresponding to the signature indicated by a conformed signature (/Sf) within this e-filed document. ~RRI Dated: J2-{ JJ/ 17 12 Attorney for Plaintiffs 13 14 Dated: J 2/ JJ fi '7 I S! DEAN C. BURNICK Attorneys for Defendants 15 16 [Proposed] ORDER 17 This Matter, having come before the Court by way of stipu lation on the parties' Request to Extend Time 18 in Which to Complete M ediation, and it appearing, that the request is made in good faith and is 19 uncontested and should be granted for good ca use shown, it is hereby ORDERED, ADJUDGED AND DECREED that Parties, Request to Extend the Time in Which to Complete 20 Mediation is granted and the Parties shall have until February 16, 2018 in which to complete mediation. 21 22 14 ENTERED this _ _ day of _ ____, 2018. December 23 Honorable JON S. TIGAR United States District Judge 24 25 Stipulation to Extend Time in Which to Complete Mediation and [Proposed] Order Thereon 2

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