People of the State of California, ex rel. et al v. Federal Housing Finance Agency et al

Filing 157

ORDER Granting 156 Revised Stipulation Setting Schedule for Summary Judgment Motions. Motions due by 1/30/2012. Cross Motions due by 2/27/2012. Responses due by 3/12/2012. Replies due by 3/26/2012.. Further Case Management Conference set for 4/19/2012 02:00 PM. Motion Hearing set for 4/19/2012 02:00 PM before Hon. Claudia Wilken. Signed by Judge Claudia Wilken on 12/21/2011. (ndr, COURT STAFF) (Filed on 12/21/2011)

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1 2 3 4 5 6 7 8 KAMALA D. HARRIS Attorney General of California SALLY MAGNANI Senior Assistant Attorney General JANILL L. RICHARDS (SBN # 173817) Supervising Deputy Attorneys General SUSAN S. FIERING (SBN # 121621) California Attorney General’s Office 1515 Clay Street, 20th Floor P.O. Box 70550 Oakland, California 94612-0550 Telephone: (510) 622-2100 Fax: (510) 622-2270 Attorneys for People of the State of California, ex rel. Kamala D. Harris, Attorney General 9 IN THE UNITED STATES DISTRICT COURT 10 FOR THE NORTHERN DISTRICT OF CALIFORNIA 11 12 13 PEOPLE OF THE STATE OF CALIFORNIA, Case No. 10-cv-03084 CW (LB) ex rel. KAMALA D. HARRIS, ATTORNEY GENERAL, Consolidated Case Nos.: Plaintiff, 14 15 v. 16 10-cv-03270 CW (LB) 10-cv-03317 CW (LB) 10-cv-04482 CW (LB) FEDERAL HOUSING FINANCE AGENCY; et al., 17 REVISED STIPULATION AND [PROPOSED] ORDER SETTING SCHEDULE FOR SUMMARY Defendants. JUDGMENT MOTIONS 18 19 20 – and related cases – 21 22 Pursuant to the Court’s Order of September 16, 2011, all case-dispositive motions in this 23 matter must be heard no later than 2:00 p.m., Thursday, April 5, 2012. The parties believe that 24 the matter can be fully and finally resolved through motions for summary judgment. 25 Accordingly, the parties propose the following briefing schedule and page limits: 26 27 Plaintiffs’ joint motion for summary judgment, consisting of no more than 25 pages, due January 23, 2012; 28 1 Stipulation and Order re Summary Judgment (Case No. 10-cv-03084 CW (LB) and consolidated cases) 1 Defendants’ combined cross-motion for summary judgment, consisting of no more than 25 2 pages, and opposition to motion, consisting of no more than 25 additional pages, due February 27, 3 2012; 4 5 Plaintiffs’ combined opposition to cross-motion, consisting of no more than 25 pages, and reply, consisting of no more 15 additional pages, due March 12, 2012; 6 Defendants’ reply, consisting of no more than 15 pages, due March 26, 2012. 7 The hearing on the motions for summary judgment shall be scheduled for April 12, 2012, at 8 2:00 p.m., or as soon thereafter as the matter can be heard. 9 10 The parties agree that this Order may be subject to revision, if necessary, should discovery in this case be allowed. 11 IT IS SO STIPULATED: 12 /// 13 /// 14 /// 15 /// 16 /// 17 /// 18 /// 19 /// 20 /// 21 /// 22 /// 23 /// 24 /// 25 /// 26 /// 27 /// 28 /// 2 Plaintiffs’ Joint Supplement to Settlement Conf. Statements (Case No. 10-cv-03084 CW and related cases) 1 Dated: December 16, 2011 KAMALA D. HARRIS Attorney General of California 2 3 4 /s/ Janill L. Richards 5 SALLY MAGNANI Senior Assistant Attorney General JANILL L. RICHARDS SUSAN S. FIERING Supervising Deputy Attorneys General Attorneys for Plaintiff the People of the State of California, ex rel. Kamala D. Harris 6 7 8 9 BRUCE D. GOLDSTEIN Sonoma County Counsel 10 11 12 /s/ Kathleen A. Larocque 13 KATHLEEN A. LAROCQUE Chief Deputy County Counsel PHYLLIS C. GALLAGHER ANNE KECK Deputy County Counsels Attorneys for Plaintiff County of Sonoma 14 15 16 ANTHONY J. LA BOUFF Placer County Counsel 17 18 19 /s/ Valerie D. Flood 20 GERALD O. CARDEN Chief Deputy County Counsel VALERIE D. FLOOD Supervising Deputy County Counsel DAVID K. HUSKEY Deputy County Counsel Attorneys for Plaintiff County of Placer 21 22 23 24 25 26 27 28 3 Plaintiffs’ Joint Supplement to Settlement Conf. Statements (Case No. 10-cv-03084 CW and related cases) 1 RICHARDS, WATSON & GERSHON A Professional Corporation 2 3 4 /s/ David G. Alderson 5 MITCHELL E. ABBOTT DAVID G. ALDERSON Attorneys for Plaintiff City of Palm Desert 6 7 SIERRA CLUB ENVIRONMENTAL LAW PROGRAM 8 9 10 /s/ Travis Ritchie 11 GLORIA D. SMITH TRAVIS RITCHIE Attorneys for Plaintiff Sierra Club 12 13 14 STEPHEN E. HART Federal Housing Finance Agency 15 ARNOLD & PORTER LLP 16 17 /s/ Asim Varma 18 HOWARD N. CAYNE ASIM VARMA Attorneys for Defendants Federal Housing Finance Agency and Edward DeMarco 19 20 21 22 23 24 25 26 27 28 4 Plaintiffs’ Joint Supplement to Settlement Conf. Statements (Case No. 10-cv-03084 CW and related cases) ORDER 1 2 3 Pursuant to the parties’ stipulation, Plaintiffs’ joint motion for summary judgment, consisting of no more than 25 pages, is due January 30, 2012; 4 Defendants’ combined cross-motion for summary judgment, consisting of no more than 25 5 pages, and opposition to motion, consisting of no more than 25 additional pages, is due February 6 27, 2012; 7 8 9 Plaintiffs’ combined opposition to cross-motion, consisting of no more than 25 pages, and reply, consisting of no more 15 additional pages, is due March 12, 2012; Defendants’ reply, consisting of no more than 15 pages, is due March 26, 2012. 10 19, The hearing on the motions for summary judgment shall be scheduled for April 12, 2012, at 11 2:00 p.m. A further case management conference will also be held on April 19, 2012, at 2:00 p.m. 12 IT IS SO ORDERED. 13 14 12/21/2011 Dated: ___________________ _____________________________ Honorable Claudia Wilken United States District Court Judge 15 16 17 18 19 20 21 22 23 24 25 26 27 28 5 Plaintiffs’ Joint Supplement to Settlement Conf. Statements (Case No. 10-cv-03084 CW and related cases)

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