Soublet v. County of Alameda et al
Filing
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STIPULATION AND ORDER re 29 STIPULATION WITH PROPOSED ORDER [Stipulation and Request to Extend Deadline for Conducting Mediation filed by Lori Cox, County of Alameda. Signed by Judge Jon S. Tigar on April 10, 2019. (wsnS, COURT STAFF) (Filed on 4/10/2019)
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LAFAYETTE & KUMAGAI LLP
GARY T. LAFAYETTE (SBN 88666)
Email: glafayette@lkclaw.com
BRIAN H. CHUN (SBN 215417)
Email: bchun@lkclaw.com
1300 Clay Street, Suite 810
Oakland, California 94612
Telephone: (415) 357-4600
Facsimile: (415) 357-4605
Attorneys for Defendants
COUNTY OF ALAMEDA and LORI COX
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ATTORNEYS AT LAW
1300 CLAY STREET, SUITE 810
OAKLAND, CALIFORNIA 94612
(415) 357-4600
FAX (415) 357-4605
LAFAYETTE & KUMAGAI LLP
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LAW OFFICES OF BONNER & BONNER
CHARLES A. BONNER (SBN 85413)
Email: cbonner799@aol.com
A. CABRAL BONNER (SBN 247528)
Email: cabral@bonnerlaw.com
475 Gate Five Road, Suite 212
Sausalito, California 94965
Telephone: (415) 331-3070
Facsimile: (415) 331-2738
Attorneys for Plaintiff
SYLVIA SOUBLET
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SYLVIA SOUBLET (aka SLYVIA
MYLES),
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vs.
STIPULATION AND REQUEST TO
EXTEND DEADLINE FOR CONDUCTING
MEDIATION; [PROPOSED] ORDER
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COUNTY OF ALAMEDA and LORI COX,
in her Official and Individual Capacity, and
DOES 1-50 inclusive.
Courtroom:
Judge:
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Plaintiff,
Case No. 18-cv-03738-JST
Defendants.
9, 19th Floor
Hon. Jon S. Tigar
Action Filed: July 24, 2018
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STIPULATION AND REQUEST TO EXTEND DEADLINE
FOR CONDUCTING MEDIATION; [PROPOSED] ORDER
(Case No. 18-cv-03738-JST)
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STIPULATION AND REQUEST
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Plaintiff Sylvia Soublet (“Plaintiff”) and Defendants County of Alameda and Lori Cox
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(“Defendants”) (collectively referred to as the “Parties”) through their respective counsel hereby
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stipulate and request as follows:
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WHEREAS on October 19, 2018, the Court issued an Order referring the Parties to a
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private mediation with the Honorable Maria-Elena James (retired) to be held by February 15,
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2019, pursuant to stipulation of the Parties;
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WHEREAS, due to difficulties relating to deposition scheduling, the parties were unable
to schedule a mediation to take place by February 15, 2019; and
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which is the first available date that works for the Parties and Judge James;
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NOW, THEREFORE, IT IS HEREBY STIPULATED AND REQUESTED by and
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between the Parties through their respective attorneys of record that the deadline to conduct
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mediation be extended to June 18, 2019.
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DATED: April 9, 2019
LAFAYETTE & KUMAGAI LLP
/s/ Brian H. Chun
BRIAN H. CHUN
Attorney for Defendants
COUNTY OF ALAMEDA and LORI COX
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DATED: April 9, 2019
S
NO
ER
n S. Tig
R NIA
J u d ge J o
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RT
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D
RDERE
OO
IT IS S
ar
FO
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/s/ A. Cabral Bonner
A. CABRAL BONNER
Attorney for Plaintiff
SYLVIA SOUBLET
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ISTRIC
ES D
TC
AT
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RT
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O
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LAW OFFICES OF BONNER & BONNER
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UNIT
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ATTORNEYS AT LAW
1300 CLAY STREET, SUITE 810
OAKLAND, CALIFORNIA 94612
(415) 357-4600
FAX (415) 357-4605
LAFAYETTE & KUMAGAI LLP
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WHEREAS the Parties have scheduled a mediation with Judge James for June 18, 2019,
N
F
D IS T IC T O
R
C
STIPULATION AND REQUEST TO EXTEND DEADLINE
FOR CONDUCTING MEDIATION; [PROPOSED] ORDER
(Case No. 18-cv-03738-JST)
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SIGNATURE ATTESTATION
I hereby attest that I have obtained the concurrence of A. Cabral Bonner, counsel for
Plaintiff, for the filing of this Stipulation.
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/s/ Brian H. Chun
BRIAN H. CHUN
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ATTORNEYS AT LAW
1300 CLAY STREET, SUITE 810
OAKLAND, CALIFORNIA 94612
(415) 357-4600
FAX (415) 357-4605
LAFAYETTE & KUMAGAI LLP
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STIPULATION AND REQUEST TO EXTEND DEADLINE
FOR CONDUCTING MEDIATION; [PROPOSED] ORDER
(Case No. 18-cv-03738-JST)
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