Abdelatty v. Blinken et al
Filing
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ORDER by Judge Lisa J. Cisneros granting 19 Stipulation Re: Response Date. Response due by 12/12/2024. (bns, COURT STAFF) (Filed on 10/25/2024)
1 ISMAIL J. RAMSEY (CABN 189820)
United States Attorney
2 PAMELA T. JOHANN (CABN 145558)
Chief, Civil Division
3 JEVECHIUS D. BERNARDONI (CABN 281892)
Assistant United States Attorney
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450 Golden Gate Avenue, Box 36055
San Francisco, California 94102-3495
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Telephone: (415) 436-7224
Facsimile: (415) 436-6748
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jevechius.bernardoni@usdoj.gov
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Attorneys for Federal Defendants
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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OMAR ABDELATTY BAKRY
ABDELATTY,
Plaintiff,
No. 24-cv-03941-LJC
THIRD STIPULATION RE RESPONSE DATE;
[PROPOSED] ORDER
v.
ANTONY J. BLINKEN, in his official capacity
as Secretary of State, et al.,
Defendant.
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Plaintiff Omar Abdelatty and Defendants Antony J. Blinken, et al., by and through their counsel,
21 stipulate as follows:
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1.
On June 29, 2024, Plaintiff filed a Petition for Writ of Mandamus and Complaint under
23 FOIA. ECF No. 1 (“Complaint”). The U.S. Attorney’s Office was served with the summons and
24 complaint on July 12, 2024.
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2.
On August 12, 2024, the Court issued an order granting the parties’ stipulation regarding
26 Defendants’ deadline to respond to the Complaint. ECF No. 15.
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3.
On September 27, 2024, the Court issued an order granting the parties’ second stipulation
28 regarding Defendants’ deadline to respond to the Complaint. ECF No. 17.
THIRD STIPULATION RE RESPONSE DEADLINE; [PROPOSED] ORDER
No. 24-cv-03941-LJC
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The parties have met and conferred and agree that Defendants may have an additional 45
2 days, until December 12, 2024, to respond to all claims in the Complaint.
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This is the third request to modify any deadline in this action, and this request will not
4 impact any deadlines other than those addressed herein.
ATTESTATION
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In accordance with Civil Local Rule 5-1(i)(3), the filer of this document attests that all
7 signatories listed below concur in the filing of this document.
8 DATED: October 25, 2024
Respectfully submitted,
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ISMAIL J. RAMSEY
United States Attorney
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/s/ Jevechius D. Bernardoni
JEVECHIUS D. BERNARDONI
Assistant United States Attorney
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Attorneys for Federal Defendants
DATED: October 25, 2024
NIMER LAW LLC
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/s/ Jennifer Nimer
JENNIFER NIMER
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Attorneys for Plaintiff
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THIRD STIPULATION RE RESPONSE DEADLINE; [PROPOSED] ORDER
No. 24-cv-03941-LJC
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[PROPOSED] ORDER
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Pursuant to the stipulation of the parties, and good cause appearing therefor, IT IS SO
3 ORDERED. The deadline for Defendants’ response to all claims asserted in the Complaint, ECF No. 1,
4 is December 12, 2024.
5 DATED: _________________
October 25, 2024
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THE HON. LISA J. CISNEROS
United States Magistrate Judge
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THIRD STIPULATION RE RESPONSE DEADLINE; [PROPOSED] ORDER
No. 24-cv-03941-LJC
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