Briggs v. Matson

Filing 27

STIPULATION AND ORDER re 26 JOINT ADMINISTRATIVE MOTION AND STIPULATION WITH PROPOSED ORDER TO EXTEND TIME FOR EARLY NEUTRAL EVALUATION to 6/1/18 filed by Landon Matson. Status Report due by 6/14/2018. Status Conference set for 6/21/2018 10:30 AM in San Francisco, Courtroom 05, 17th Floor before Judge Edward M. Chen. Signed by Judge Edward M. Chen on 4/9/18. (bpfS, COURT STAFF) (Filed on 4/9/2018)

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7 JOHN L. BURRIS, ESQ., SBN 69888 BEN NISENBAUM, ESQ., SBN 222173 JAMES COOK, ESQ., SBN 300212 LAW OFFICES OF JOHN L. BURRIS 7677 Oakport Street, Suite 1120 Oakland, California 94621 Telephone: (51 0) 839-5200 Facsimile: (51 0) 839-3882 john.burris@ johnburrislaw.com ben.nisenbaum@johnburrislaw.com james.cook@johnburrislaw.com 8 Attorneys for Plaintiff Stuart Briggs 2 3 4 5 6 9 XAVIERB ECERRA 15 Attorney General of California JEFFREY R. VINCENT Supervising Deputy Attorney General KYMB ERLY E. SPEER Deputy Attorney General State BarNo. 121703 1515 Clay Street, 20th Floor P.O. Box 70550 Oakland, CA 94612-0550 Telephone: (51 0) 879-0985 Fax: (51 0) 622-2270 E-mail: Kymberlv.Speer(ii;doj.ca.gov 16 Attorneys for Defendant Landon Matson 10 11 12 13 14 17 18 IN THE UNITED STATES DISTRICT COURT 19 FOR THE NORTHERN DISTRICT OF CALIFORNIA 20 SAN FRANCISCO 21 3: 17-cv-04973-EMC STUART BRIGGS, 22 Plaintiff, 23 v. JOINT ADMINISTRATIVE MOTION AND STIPULATION TO EXTEND TIME FOR EARLY NEUTRAL EVALUATION 24 Local Rule 7.11 25 26 27 28 LANDON MATSON, INDIVIDUALLY AND IN HIS CAP A CITY AS A CHP OFFICER, ET AL., Defendants. --------------------------------~ 5 - 17th Floor The Honorable Edward M. Chen Trial Date: March 4, 2019 Action Filed: August 25 , 2017 Courtroom : Judge: Joint Administrative Motion to Extend Time for Early Neutral Evaluation (3: 17-cv-04973-EMC) Pursuant to Local Rule 7.11, Plaintiff Stuart Briggs and Defendant Landon Matson hereby 2 stipulate and jointly request that the Court extend to June 1, 2018 the time in which to hold an 3 Early Neutral Evaluation (see Document 19.) The current 120-day deadline for ENE falls either 4 on April 13 , 2018 (if calculated from the date of assignment to ENE- see Document 19) or May 5 4, 2018 (if calculated from the date the ENE neutral, Randolph W. Hall, was appointed- see 6 Document 21.) 7 There have not been any previous extensions of time for the ADR process. 8 The grounds for the motion are that, due to conflicts between the parties' calendars and 9 those of their attorneys, the dates set for the patties' depositions are not until May 14 (Plaintiff I0 Briggs) and May 16 (Defendant Matson.) Mr. Hall has confirmed that, pending a conflicts check, 11 he is available for the ENE tentatively set for May 25, 2018; in an abundance of caution the 12 parties respectfully request that the time period for ENE be extended to June 1, 2018. 13 So stipulated, 14 15 LAW OFFICES OF JOHN L. BURRIS Dated: April 2, 2018 16 ls! ~&w4 17 JOHNLB URRIS, ESQ. B EN N!SENBAUM, ESQ. JAMES COOK, ESQ. 18 Attorneys for Plaintiff Stuart Briggs 19 20 Dated: April 2, 2018 XAVIER B ECERRA Attorney General of California 21 J EFFREY R. VINCENT Supervising Deputy Attorney General 22 Is! *J::~ &. Sftee!t KYMBERLY E. SPEER 23 24 Deputy Attorney General Attorneys for Defendants 25 26 27 28 2 Joint Administrative Motion to Extend Time for Early Neutral Evaluation (3: 17-cv-04973-EMC) ATTORNEY ATTESTATION 2 1, Kymberly E. Speer, am the ECF user whose identification and password are being used to 3 file the foregoing documents. Pursuant to Civil Local Rule 5.1 (i), I hereby attest that concurrence 4 in the filing of these documents has been obtained from each of its Signatories. 5 6 Is! 7::~ Dated: April 2, 2018 &. S{teelz: 7 8 ORDER 9 Status conference is reset from 4/24/18 to 6/21/18 at 10:30 a.m. Early Neutral Evaluation is extended to June 1, 2018 . 12 4/9/18 DATED: _ _ _ _ _ _ __ _ S 16 17 ERED O ORD D IT IS S DIFIE AS MO rd M. C NO 18 RT ER H 19 dwa Judge E 20 21 hen LI UNIT ED 15 RT U O 14 S DISTRIC TE EDWARDT C CHEN M. TA United States District Judge A 13 R NIA 11 Pursuant to stipulation and good cause appearing therefor, the deadline for completing an FO 10 N F D IS T IC T O R C 22 23 OK20 1790 1523 Joint stip to extend time for ENE.doc 24 25 26 27 28 3 Joint Administrative Motion to Extend Time for Early Neutral Evaluation (3 : 17-cv-04973-EMC)

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