Bailey v. Mount Diablo Unified School District
Filing
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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)
[Exempt from payment of filing fees
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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
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NORTHERN DISTRICT OF CALIFORNIA
BRET BAILEY,
Plaintiff,
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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
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IT IS HEREBY STIPULATED by and between the parties, Plaintiff BRET
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BAILEY (“Plaintiff”) and Defendant MOUNT DIABLO UNIFIED SCHOOL
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DISTRICT (the “District”) (collectively, the “Parties”), as follows:
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The parties met with Magistrate Judge Lisa J. Cisneros for a Pre-
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Settlement Conference to discuss dates for a settlement conference on
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November 14, 2024. The parties are unavailable for a settlement conference in
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December 2025, and they seek to engage in limited discovery for purposes of
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preparing their case for the upcoming settlement conference. At the moment, the
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deadline for ADR in this case is January 5, 2025.
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_________________________________________________________________________________________________________
STIPULATION FOR EXTENSION TO FOR ADR
Case No.: 3:24-CV-00188-AGT
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The Court is available to conduct a settlement conference date on January
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17 and 31, 2025, and the parties are seeking an extension of time for the ADR
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deadline until February 5, 2025 to be able to conduct the settlement conference.
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Pursuant to local rules, this document is being electronically filed through
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the Court’s ECF System. In this regard, counsel for the District hereby attests that
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(1) the content of this document is acceptable to all persons required to sign the
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document; (2) Plaintiff’s counsel has concurred with the filing of this document;
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and (3) a record supporting this concurrence is available for inspection or
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production if so ordered.
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IT IS SO STIPULATED.
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EISENBERG & BAUM, LLP
Dated: November 22, 2024
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/s/ Andrew Rozynski
Attorney for Plaintiff
BRET BAILEY
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LEONE ALBERTS & DUUS, APC
Dated: November 22, 2024
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ERED
yer
S
s R. Bre
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harle
Judge C
RT
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O ORD
IT IS S
FO
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UNIT
ED
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NO
Date: November 25, 2024
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RT
U
O
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s/ Clariza C. Garcia
CLARIZA C. GARCIA
Attorney for Defendants
MOUNT DIABLO UNIFIED SCHOOL DISTRICT
ISTRIC
ES D
TC
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R NIA
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_________________________________________________________________________________________________________
STIPULATION FOR EXTENSION TO FOR ADR
Case No.: 3:24-CV-00188-AGT
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