Brabody v. Staples, Inc.
Filing
89
STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE re 87 Stipulation, filed by Lisa Brabody. Joint Case Management Statement due by 6/23/2011. Case Management Conference set for 6/30/2011 02:00 PM. Signed by Judge Phyllis J. Hamilton on 6/9/11. (nah, COURT STAFF) (Filed on 6/9/2011)
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PETER M. HART (STATE BAR NO. 198691)
hartpeter@msn.com
KIMBERLY WESTMORELAND (SBN 237919)
kwestmoreland.loph@gmail.com
LAW OFFICES OF PETER M. HART
12121 Wilshire Boulevard, Suite 205
Los Angeles, California 90025
Telephone: (310) 478-5789
Facsimile: (509) 561-6441
ERIC HONIG (STATE BAR NO. 140765)
erichonig@aol.com
LAW OFFICE OF ERIC HONIG
P.O. Box 10327
Marina Del Rey, California 90295
Telephone: (310)314-2603
Facsimile: (310)314-2793
Attorneys for Plaintiff Lisa Braboy
*Additional counsel listed on the next page
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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LISA BRABOY, as an individual and on behalf
of all others similarly situated,
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Plaintiff,
v.
STAPLES, INC., a corporation, and DOES 1
through 50, inclusive,
Defendants.
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Assigned For All Purposes To The Hon. Phyllis J.
Hamilton (Courtroom 3)
JOINT STIPULATION CONTINUING CASE
MANAGEMENT CONFERENCE
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Case No. C09-04534-PJH (BZ)
Date:
Time:
Court:
Judge:
June 16, 2011
2:00 p.m.
3, 3rd Floor
Hon. Phyllis J. Hamilton
Action Filed: November 25, 2008
Action Removed: August 29, 2009
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JOINT STIPULATION RE: CONTINUING CASE MANAGEMENT CONFERENCE (CASE NO. C09-4534 PJH (BZ))
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KENNETH H. YOON (STATE BAR NO. 198443)
kyoon@yoon-law.com
LINDA WHITEHEAD (STATE BAR NO. 222799)
lwhitehead@yoon-law.com
LAW OFFICES OF KENNETH H. YOON
One Wilshire Boulevard, Suite 2200
Los Angeles, California 90017
Telephone: (213)612-0988
Facsimile: (213)947-1211
LARRY W. LEE (STATE BAR NO. 228175)
lwlee@diversity-law.com
DIVERSITY LAW GROUP, A Professional Corporation
444 S. Flower Street, Suite 1370
Los Angeles, California 90071
Telephone: (213) 488-6555
Facsimile: (213) 488-6554
*Additional Attorneys for Plaintiff Lisa Braboy
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ROD M. FLIEGEL, Bar No. 168289
E-mail: rfliegel@littler.com
ANGELA J. RAFOTH, Bar No. 241966
E-mail: arafoth@littler.com
LITTLER MENDELSON
A Professional Corporation
650 California Street, 20th Floor
San Francisco, CA 94108.2693
Telephone:
415.433.1940
Fax No.:
415.399.8490
ELIZABETH STAGGS WILSON, Bar No. 183160
E-mail: estaggs-wilson@littler.com
RYAN P. ESKIN, Bar No. 205413
E-mail: reskin@littler.com
LITTLER MENDELSON
A Professional Corporation
2049 Century Park East
5th Floor
Los Angeles, CA 90067.3107
Telephone:
310.553.0308
Facsimile:
310.553.5583
Attorneys for Defendant
STAPLES CONTRACT AND COMMERCIAL, INC.
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JOINT STIPULATION RE: CONTINUING CASE MANAGEMENT CONFERENCE (CASE NO. C09-4534 PJH (BZ))
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Pursuant to Civil Local Rules 7-12 and 16-2, it is hereby stipulated, by and between
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LISA BRABOY (“Plaintiff”) and STAPLES CONTRACT AND COMMERCIAL, INC.
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(“Defendant”) (collectively the “Parties”), through their respective undersigned counsel, as follows:
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WHEREAS, a Case Management Conference in the above-captioned case is currently
scheduled for June 16, 2011;
WHEREAS, the Parties are presently engaged in settlement discussions and have
agreed in principle to the relevant terms;
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WHEREAS, the Parties have met and conferred and in good faith have jointly agreed
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that a 14-day continuance of the Case Management Conference will allow the Parties time to finalize
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the terms of the settlement;
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WHEREAS, the Parties have met and conferred and in good faith have jointly agreed to
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a brief continuance to the Case Management Conference to June 30, 2011, or any date that is
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convenient for the Court;
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IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff and
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Defendant, through their respective undersigned counsel, that the Case Management Conference,
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currently scheduled for June 16, 2011, shall be continued to June 30, 2011, or any date in August
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according to the Court’s convenience.
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IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff and
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Defendant, through their respective undersigned counsel, that the Parties will file a Joint Case
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Management Conference Statement no later than seven days prior to the new date set for the Case
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Management Conference.
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IT IS SO STIPULATED.
DATED: June 8, 2011
LAW OFFICES OF PETER M. HART
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By:
_____
/s/
Peter M. Hart
Attorney for Plaintiff, LISA BRABOY
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JOINT STIPULATION RE: CONTINUING CASE MANAGEMENT CONFERENCE (CASE NO. C09-4534 PJH (BZ))
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DATED: June 8, 2011
LITTLER MENDELSON, A Professional Corporation
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By:
/s/
Rod M. Fliegel
Ryan P. Eskin
Attorneys for Defendant STAPLES CONTRACT AND
COMMERCIAL, INC.
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]PROPOSED] ORDER CONTINUING THE CASE MANAGEMENT CONFERENCE
The Parties having so stipulated, and GOOD CAUSE APPEARING THEREFORE, IT
IS HEREBY ORDERED that:
The Case Management Conference is continued to June 30, 2011 (or _________,
2011), at 2:00 p.m.
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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S
RT
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yllis J.
udge Ph
NO
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J
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Hamilto
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R NIA
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___________________________
The Honorable Phyllis J. D
DEREHamilton
SO OR States District Court
Judge of the United
IT IS
FO
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6/9/11
Date: ______________
UNIT
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JOINT STIPULATION RE: CONTINUING CASE MANAGEMENT CONFERENCE (CASE NO. C09-4534 PJH (BZ))
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