Stolebarger v. The Prudential Insurance Company of America
Filing
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ORDER GRANTING re 8 Stipulation to Extend Time to Respond to Initial Complaint filed by The Prudential Insurance Company of America. Signed by Chief Magistrate Judge Joseph C. Spero on 11/21/17. (klhS, COURT STAFF) (Filed on 11/21/2017)
1 Linda M. Lawson (Bar No. 77130)
llawson@mhllp.com
2 Jason A. James (Bar No. 265129)
jjames@mmhllp.com
3 MESERVE, MUMPER & HUGHES LLP
800 Wilshire Boulevard, Suite 500
4 Los Angeles, California 90017-2611
Telephone: (213) 620-0300
5 Facsimile: (213) 625-1930
6 Attorneys for Defendant
THE PRUDENTIAL INSURANCE COMPANY OF
7 AMERICA
8
UNITED STATES DISTRICT COURT
9
NORTHERN DISTRICT OF CALIFORNIA
10
11 ROBERT STOLEBARGER,
Case No. 3:17-cv-06161 JCS
12
STIPULATION TO EXTEND TIME TO
RESPOND TO PLAINTIFF'S INITIAL
COMPLAINT [L.R. 6-1]
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16
)
)
Plaintiff,
)
)
vs.
)
)
THE PRUDENTIAL INSURANCE COMPANY )
OF AMERICA,
)
)
Defendant.
)
)
Complaint Served:
October 31, 2017
Current Response Date: December 1, 2017
New Response Date:
December 11, 2017
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WHEREAS, Plaintiff ROBERT STOLEBARGER (“Plaintiff”) served upon defendant THE
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19 PRUDENTIAL INSURANCE COMPANY OF AMERICA (“Prudential”) the Complaint in this
20 action by certified mail on October 31, 2017;
WHEREAS, under California law applicable to service by certified mail, a responsive
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22 pleading to the Complaint must be filed and served on behalf of Prudential by December 1, 2017;
WHEREAS, for good cause and pursuant to Local Rule 6-1 of the United States District Court
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24 for the Northern District of California, the parties wish to extend the time within which a responsive
25 pleading to the Complaint must be filed and served by Prudential by 10 days to December 11, 2017;
WHEREAS, the parties agree this stipulation will not impact any dates that are currently set
26
27 in this matter.
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1
LAW OFFICES
MESERVE,
MUMPER &
HUGHES LLP
159807.1
Case No. 3:17-cv-06161 JCS
STIPULATION TO EXTEND TIME TO RESPOND TO
PLAINTIFF'S INITIAL COMPLAINT [L.R. 6-1]
IT IS HEREBY STIPULATED by and between Plaintiff and Prudential, by and through their
1
2 respective attorneys of record, that the time within which a responsive pleading to Plaintiff’s
3 Complaint must be filed and served by Prudential is extended to December 11, 2017.
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5 IT IS SO STIPULATED.
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7 Dated: November 17, 2017
Richard J. Mooney
Brian T. Hafter
RIMON P.C.
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By:
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/s/ Richard J. Mooney
Richard J. Mooney
Attorneys for Plaintiff
ROBERT STOLEBARGER
11
12
13 Dated: November 17, 2017
Linda M. Lawson
Jason A. James
MESERVE, MUMPER & HUGHES LLP
14
15
By:
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/s/ Jason A. James
Jason A. James
Attorneys for Defendant
THE PRUDENTIAL INSURANCE
COMPANY OF AMERICA
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SIGNATURE ATTESTATION
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I, Jason A. James, hereby attest that concurrence in the filing of the document has been
22 obtained from the other signatory on this document.
23
24 Dated: November 17, 2017
By: /s/ Jason A. James
Jason A. James
Spero
LI
A
H
ER
R NIA
Judge Jo
RT
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N
F
D IS T IC T O
R
C
2
LAW OFFICES
MESERVE,
MUMPER &
HUGHES LLP
seph C.
NO
27 Dated: November 21, 2017
TED
GRAN
FO
UNIT
ED
26
RT
U
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S
25
ISTRIC
ES D
TC
AT
T
159807.1
Case No. 3:17-cv-06161 JCS
STIPULATION TO EXTEND TIME TO RESPOND TO
PLAINTIFF'S INITIAL COMPLAINT [L.R. 6-1]
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