Ashker et al v. Schwarzenegger et al

Filing 1777

Order by Judge Claudia Wilken granting 1776 Stipulation Confirming Date for Joint Report or Separate Statements Addressing January 5, 2023 Order. Joint Statement or Separate Statements due by 2/22/2023.(bns, COURT STAFF) (Filed on 2/9/2023)

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1 2 3 4 5 6 7 8 ROB BONTA Attorney General of California ADRIANO HRVATIN Supervising Deputy Attorney General JEREMY C. DOERNBERGER SARAH M. BRATTIN D. MARK JACKSON Deputy Attorneys General State Bar No. 220909 455 Golden Gate Avenue, Suite 1100 San Francisco, CA 94102-7004 Telephone: (415) 510-3577 Fax: (415) 703-5843 E-mail: Adriano.Hrvatin@doj.ca.gov Attorneys for Defendants 9 IN THE UNITED STATES DISTRICT COURT 10 FOR THE NORTHERN DISTRICT OF CALIFORNIA 11 OAKLAND DIVISION 12 13 14 TODD ASHKER, et al., 4:09-cv-05796-CW (RMI) Plaintiffs, 15 STIPULATION AND ORDER CONFIRMING DATE FOR JOINT REPORT OR SEPARATE STATEMENTS ADDRESSING JANUARY 5, 2023 ORDER v. 16 17 18 GOVERNOR OF THE STATE OF CALIFORNIA, et al., Defendants. 19 20 21 On January 5, 2023, the Court issued an order regarding a class member’s retaliation claim. 22 (ECF No. 1750 [filed under seal].) The Court ordered that the parties meet and confer and provide 23 a joint report or separate statements regarding those meet-and-confer discussions and proposing 24 further steps within 45 days of the Court’s January 5 order. (Id. at 64.) The Court’s 45-day 25 deadline falls on Sunday, February 19. The following day, February 20, is a federal and state 26 holiday. 27 28 Defendants raised this calendar issue with Plaintiffs and proposed the parties stipulate to have until February 22 to meet the Court’s filing deadline. The February 22 deadline will 1 Stip & Order (4:09-cv-05796-CW (RMI)) 1 continue the parties’ filing deadline to a date that does not fall on a Sunday or holiday and 2 provides the parties with a full business day (on February 21) to compile their joint or separate 3 position statements. Plaintiffs do not oppose this revised schedule. Good cause supports this 4 request as the proposed schedule change continues the parties’ response deadline by just three 5 days, allows the parties to work around weekend and holiday conflicts, and otherwise affects no 6 other deadline regarding this matter. 7 IT IS SO STIPULATED. 8 9 Dated: February 8, 2023 Respectfully submitted, 10 ROB BONTA Attorney General of California 11 /s/ Adriano Hrvatin 12 ADRIANO HRVATIN Supervising Deputy Attorney General Attorneys for Defendants 13 14 Dated: February 8, 2023 BREMER LAW GROUP PLLC 15 /s/ Carmen Bremer 16 CARMEN E. BREMER Attorneys for Plaintiffs 17 ORDER 18 19 Based on the parties’ stipulation, and finding good cause, the Court APPROVES the 20 parties’ stipulation and revised schedule for submitting a joint statement or separate statements 21 addressing the Court’s January 5, 2023 order. The parties will file a joint statement or their 22 separate statements by February 22, 2023. 23 IT IS SO ORDERED. 24 25 Dated: February 9, 2023 _________________________________ The Hon. Claudia Wilken United States District Court Judge 26 27 28 SF2012204868 43567683.docx 2 Stip & Order (4:09-cv-05796-CW (RMI))

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