Bailey v. Mount Diablo Unified School District

Filing 37

STIPULATION AND ORDER TO EXTEND ADR - Re 36 Stipulation filed by Mount Diablo Unified School District. Signed by Judge Charles R. Breyer on 11/25/2024. (ls, COURT STAFF) (Filed on 11/25/2024)

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[Exempt from payment of filing fees 1 2 3 4 5 6 7 8 9 BRIAN A. DUUS, ESQ. (SBN 263403) CLARIZA C. GARCIA, ESQ. (SBN 189918) LEONE ALBERTS & DUUS A Professional Corporation 1390 Willow Pass Road, Suite 700 Concord, CA 94520-7913 Telephone: (925) 974-8600 Facsimile: (925) 974-8601 Emails:bduus@leonealberts.com cgarcia@leonealberts.com Attorneys for Defendants MOUNT DIABLO UNIFIED SCHOOL DISTRICT UNITED STATES DISTRICT COURT 10 11 12 13 NORTHERN DISTRICT OF CALIFORNIA BRET BAILEY, Plaintiff, 14 15 16 17 18 19 vs. MOUNT DIABLO UNIFIED SCHOOL DISTRICT, Defendants. Case No.: 3:24-CV-00188-AGT STIPULATION TO EXTEND TIME TO COMPLETE ADR \: ORDER Complaint Filed: January 10, 2024 Trial Date: TBD 20 IT IS HEREBY STIPULATED by and between the parties, Plaintiff BRET 21 BAILEY (“Plaintiff”) and Defendant MOUNT DIABLO UNIFIED SCHOOL 22 DISTRICT (the “District”) (collectively, the “Parties”), as follows: 23 The parties met with Magistrate Judge Lisa J. Cisneros for a Pre- 24 Settlement Conference to discuss dates for a settlement conference on 25 November 14, 2024. The parties are unavailable for a settlement conference in 26 December 2025, and they seek to engage in limited discovery for purposes of 27 preparing their case for the upcoming settlement conference. At the moment, the 28 deadline for ADR in this case is January 5, 2025. 1 _________________________________________________________________________________________________________ STIPULATION FOR EXTENSION TO FOR ADR Case No.: 3:24-CV-00188-AGT 1 The Court is available to conduct a settlement conference date on January 2 17 and 31, 2025, and the parties are seeking an extension of time for the ADR 3 deadline until February 5, 2025 to be able to conduct the settlement conference. 4 Pursuant to local rules, this document is being electronically filed through 5 the Court’s ECF System. In this regard, counsel for the District hereby attests that 6 (1) the content of this document is acceptable to all persons required to sign the 7 document; (2) Plaintiff’s counsel has concurred with the filing of this document; 8 and (3) a record supporting this concurrence is available for inspection or 9 production if so ordered. 10 IT IS SO STIPULATED. 11 12 EISENBERG & BAUM, LLP Dated: November 22, 2024 13 /s/ Andrew Rozynski Attorney for Plaintiff BRET BAILEY 14 15 16 LEONE ALBERTS & DUUS, APC Dated: November 22, 2024 20 21 26 ERED yer S s R. Bre ER H 28 harle Judge C RT 27 O ORD IT IS S FO 25 UNIT ED 24 NO Date: November 25, 2024 23 RT U O 22 s/ Clariza C. Garcia CLARIZA C. GARCIA Attorney for Defendants MOUNT DIABLO UNIFIED SCHOOL DISTRICT ISTRIC ES D TC T A T R NIA 19 LI 18 A 17 N D IS T IC T O R F C 2 _________________________________________________________________________________________________________ STIPULATION FOR EXTENSION TO FOR ADR Case No.: 3:24-CV-00188-AGT

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