Hanni v. American Airlines, Inc.

Filing 361

ORDER re 360 granting Stipulated Request to Postpone Scheduled Mediation. Signed by Judge Claudia Wilken on 11/12/09. (scc, COURT STAFF) (Filed on 11/12/2009)

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1 LOCKE LORD BISSELL & LIDDELL LLP MICHAEL V. POWELL (TX SBN 16204400) (appearance pro hac vice) 2 mpowell@lockelord.com 2200 Ross Avenue, Suite 2200 3 Dallas, Texas 75201-6776 Telephone: (214) 740-8520 4 Facsimile: (214) 756-8520 5 COOPER, WHITE & COOPER LLP STEPHEN KAUS (SBN 57454) skaus@cwclaw.com 6 JIE-MING CHOU (SBN 211346) jchou@cwclaw.com 7 201 California Street, 17th Floor 8 San Francisco, California 94111 Telephone: (415) 433-1900 (415) 433-5530 9 Facsimile: 10 Attorneys for Defendant, American Airlines, Inc. 11 12 13 14 15 KATHLEEN HANNI, individually and on behalf of all others similarly situated, 16 TIMOTHY T. HANNI, CHASE L. COSTELLO, and LANDEN T. HANNI, a 17 minor, by and through his parent and Natural Guardian, Kathleen Hanni 18 Plaintiff, 19 vs. 20 AMERICAN AIRLINES, INC., and DOES 1 21 through 20, inclusive, 22 23 24 Plaintiffs Timothy Hanni and Chase Costello ("Plaintiffs") and Defendant American Defendants. CASE NO. C08-00732 CW STIPULATED REQUEST TO POSTPONE SCHEDULED MEDIATION UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, OAKLAND DIVISION 25 Airlines, Inc. ("American") hereby stipulate and request the Court to authorize cancellation of the 26 mediation scheduled for November 18, 2009 and to postpone any further mediation until the Court 27 has ruled on motions that are presently pending. 28 COOPER, WHITE & COOPER LLP ATTORNEYS AT LAW 201 CALIFORNIA STREET SAN FRANCISCO, CA 94111 625933.1 C08-00732CW STIPULATED REQUEST TO VACATE MEDIATION DATE 1 1. Whereas, the Court previously ordered the parties to mediate with Mediator David 2 Meadows on November 18, 2009 (Dkt. 359). 3 2. Whereas, cross-motions regarding class certification, American's motion for 4 summary judgment, Plaintiffs' motion for partial summary judgment and a motion to intervene by 5 Colleen O'Connor are presently has under submission to the Court. 6 3. Whereas, the parties believe that a meaningful mediation cannot occur until the 7 pending motions are decided and wish to postpone the mediation until after that occurs and the 8 appointed mediator, David Meadows, agrees that the mediation should be so postponed. 9 4. Whereas, the various pre-trial and trial dates will need to be adjusted after the 10 Court's rulings. 11 5. Therefore, the parties request that the Court vacate the order setting a mediation for 12 November 18, 2009 and order that a new mediation date will be selected after the pending motions 13 are decided. 14 DATED: November 10, 2009 15 16 17 18 19 DATED: November 10, 2009 20 21 22 23 24 By: / s/ Paul Hudson Attorneys for Plaintiffs Timothy Hanni and Chase Costello LAW OFFICES OF PAUL S. HUDSON, P.C. By: /s/ Stephen Kaus Attorneys for Defendant American Airlines, Inc. COOPER, WHITE & COOPER LLP ORDER PURSUANT TO THIS STIPULATION, IT IS SO ORDERED. 25 Dated: November 12, 2009 26 27 28 COOPER, WHITE & COOPER LLP ATTORNEYS AT LAW 201 CALIFORNIA STREET SAN FRANCISCO, CA 94111 _____________________________________ The Honorable Claudia Wilken United States District Judge 625933.1 STIPULATED REQUEST TO VACATE MEDIATION DATE 2 C08-00732CW

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