Aetna Life Insurance Company v. Kohler et al

Filing 26

ORDER Granting 24 Stipulation CONTINUING DEADLINE TO COMPLETE INITIAL DISCLOSURES. Signed by Judge Claudia Wilken on 5/19/2011. (ndr, COURT STAFF) (Filed on 5/19/2011)

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1 2 3 4 5 6 Robert F. Schwartz, SBN 227327 rschwartz@truckerhuss.com Clarissa A. Kang, SBN 210660 ckang@truckerhuss.com Michelle L. Schuller, SBN 255787 mschuller@truckerhuss.com TRUCKER HUSS A Professional Corporation 100 Montgomery Street, 23rd Floor San Francisco, California 94104 Telephone: (415) 788-3111 Facsimile: (415) 421-2017 7 8 9 Attorneys for Plaintiff AETNA LIFE INSURANCE COMPANY, ON BEHALF OF LEHMAN BROTHERS HOLDINGS, INC. 10 UNITED STATES DISTRICT COURT 11 Huss Trucker A Professional Corporation 100 Montgomery Street, 23rd Floor San Francisco, California 94104 NORTHERN DISTRICT OF CALIFORNIA 12 OAKLAND DIVISION 13 14 AETNA LIFE INSURANCE COMPANY, ON BEHALF OF LEHMAN BROTHERS HOLDINGS, INC., 15 Plaintiff, 16 Case No. C-11-00439-CW STIPULATION AND ORDER CONTINUING DEADLINE TO COMPLETE INITIAL DISCLOSURES vs. 17 18 THOMAS KOHLER and DIANE KIMSEU KOHLER, Defendants. 19 20 21 This Stipulation Continuing Deadline to Complete Initial Disclosures is made and entered 22 into by and among plaintiff Aetna Life Insurance Company (the “Plaintiff”) and defendants 23 Thomas Kohler and Diane Kimseu Kohler (collectively, “Defendants”). 24 Prior to reassignment to Judge Claudia Wilken, the Court had set May 11, 2011 as the last 25 day to make initial disclosures required by Fed.R.Civ.P.26(a)(1). (Docket #4) Upon reassignment, 26 the Court did not set a new deadline for initial disclosures. The Plaintiff and Defendants agree and 27 believe that for purposes of time and efficiency, it is in the interest of all parties to continue the 28 deadline to serve initial disclosures until fourteen (14) days after the Court issues a decision on STIPULATION AND [PROPOSED] ORDER CONTINUING DEADLINE TO COMPLETE INITIAL DISCLOSURES; Case No. C-11-00439-CW #1170351 1 Defendants’ First Motion to Dismiss [the] Complaint (Docket #12), which is scheduled to be heard 2 on May 26, 2011. No other deadlines in the case would be affected. 3 WHEREFORE, the Parties stipulate and agree as follows: STIPULATION 4 5 Subject to the Court’s approval of this stipulation, the deadline to complete initial 6 disclosures shall be continued until fourteen (14) days after the Court issues a decision on 7 Defendants’ First Motion to Dismiss [the] Complaint. 8 IT IS SO STIPULATED. 9 10 DATED: May 17, 2011 TRUCKER HUSS Huss Trucker A Professional Corporation 100 Montgomery Street, 23rd Floor San Francisco, California 94104 11 By: /s/ Clarissa A. Kang Clarissa A. Kang 12 Attorneys for Plaintiff Aetna Life Insurance Company, on behalf of Lehman Brothers Holdings, Inc. 13 14 15 16 DATED: May ___, 2011 17 By: 18 Andrew Klimenko 19 Attorneys for Defendants Thomas Kohler and Diane Kimseu Kohler 20 21 [PROPOSED] ORDER 22 23 24 PURSUANT TO THE PARTIES’ STIPULATION, IT IS SO ORDERED. May 19 DATED: __________________, 2011 25 _________________________________________ Claudia Wilken Judge of the United States District Court 26 27 28 STIPULATION AND [PROPOSED] ORDER CONTINUING DEADLINE TO COMPLETE INITIAL DISCLOSURES; Case No. C-11-00439-CW #1170351 1 2 3 4 5 6 7 8 9 10 Huss Trucker A Professional Corporation 100 Montgomery Street, 23rd Floor San Francisco, California 94104 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND [PROPOSED] ORDER CONTINUING DEADLINE TO COMPLETE INITIAL DISCLOSURES; Case No. C-11-00439-CW #1170351 1

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