Garcia v. City and County of San Francisco et al

Filing 19

STIPULATION AND ORDER re 18 to Continue Deadline to Complete Settlement Conference filed by Ryan Jones, Jose Garcia, City and County of San Francisco. Signed by Judge ARMSTRONG on 1/16/13. (lrc, COURT STAFF) (Filed on 1/16/2013)

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1 2 3 4 5 6 7 DENNIS J. HERRERA, State Bar #139669 City Attorney CHERYL ADAMS, State Bar #164194 Chief Trial Deputy SEAN F. CONNOLLY, State Bar #152235 BRADLEY A. RUSSI, State Bar #256993 Deputy City Attorneys Fox Plaza 1390 Market Street, Sixth Floor San Francisco, California 94102-5408 Telephone: (415) 554-3863 Facsimile: (415) 554-3837 E-Mail: sean.connolly@sfgov.org 8 9 10 Attorneys for Defendants CITY AND COUNTY OF SAN FRANCISCO AND RYAN JONES 11 UNITED STATES DISTRICT COURT 12 NORTHERN DISTRICT OF CALIFORNIA 13 14 JOSE GARCIA, 15 16 17 18 19 Plaintiff, vs. CITY AND COUNTY OF SAN FRANCISCO; RYAN JONES; and DOES 1 to 50, inclusive, Case No. 12-cv-02443 SBA STIPULATION TO CONTINUE DEADLINE TO COMPLETE SETTLEMENT CONFERENCE; DECLARATION OF BRADLEY A. RUSSI; ORDER Defendants. 20 21 22 23 24 25 26 27 28 1 STIP. RE SETTLEMENT CONFERENCE 12-cv-02443 SBA 1 Pursuant to Local Rule 6-1(a), Plaintiff Jose Garcia and Defendants City and County of San 2 Francisco and Ryan Jones, by and through their attorneys of record, hereby stipulate and agree that 3 the time to complete a settlement conference in this matter shall be extended ninety days until and 4 through April 22, 2013. 5 6 IT IS SO STIPULATED. Dated: January 15, 2013 7 DENNIS J. HERRERA City Attorney CHERYL ADAMS Chief Trial Deputy SEAN CONNOLLY BRADLEY A. RUSSI Deputy City Attorneys 8 9 10 11 By: /s/ Bradley A. Russi BRADLEY A. RUSSI 12 13 Attorneys for Defendants CITY AND COUNTY OF SAN FRANCISCO, ET AL. 14 15 16 Dated: January 15, 2013 17 WALKUP, MELODIA, KELLY & SCHOENBERGER 18 19 By: /s/ Andrew P. McDevitt* ANDREW P. MCDEVITT 20 21 Attorneys for Plaintiff JOSE GARCIA 22 23 24 *Pursuant to General Order 45, the electronic signatory of this document attests that this individual concurs in his electronic signature of this document. /// 25 26 27 /// /// 28 2 STIP. RE SETTLEMENT CONFERENCE 12-cv-02443 SBA 1 DECLARATION OF BRADLEY A. RUSSI 2 I, BRADLEY A. RUSSI, declare as follows: 3 1. I am a Deputy City Attorney in the San Francisco City Attorney's Office. I have 4 personal knowledge of the contents of this declaration, and I could and would competently testify to 5 the truth of the matters stated. 6 2. On October 24, 2012, the Court referred this case to a settlement conference with 7 Magistrate Judge Ryu, to be held within 90 days. Judge Ryu set the settlement conference for 8 January 25, 2013. 9 3. Deputy City Attorney Sean Connolly is lead counsel in this matter for Defendants 10 and is the attorney primarily responsible for handling this litigation. Mr. Connolly has been on 11 leave for a medical emergency for the past several weeks. While Mr. Connolly initially anticipated 12 being back at work this week, he will not. Mr. Connolly is in the process of determining when he 13 will be able to return to work. As a result of this medical leave, Mr. Connolly will be unable to 14 participate in the settlement conference on January 25, 2013. 15 4. The parties have stipulated to extend the time in which to complete a settlement 16 conference by ninety days to accommodate Mr. Connolly’s medical leave and to allow sufficient 17 time for Defendants to provide Plaintiff with outstanding discovery upon Mr. Connolly’s return to 18 work. 19 20 5. There has been one previous stipulated time modification in this case. The parties stipulated to modify the date of the initial case management conference. 21 6. 22 I declare under penalty of perjury under the laws of the United States that the foregoing is 23 This requested time modification will not affect any other deadline in this case. true and correct, and that I signed this declaration on January 15, 2013, at San Francisco, California. 24 Bradley A. Russi BRADLEY A. RUSSI 25 26 27 28 3 STIP. RE SETTLEMENT CONFERENCE 12-cv-02443 SBA 1 ORDER 2 Based on the above stipulation, and for good cause appearing, IT IS ORDERED as follows: 3 The deadline for the parties to complete a settlement conference in this case is hereby 4 5 extended until and including April 22, 2013. PURSUANT TO STIPULATION, IT IS SO ORDERED. 6 7 Dated: 1/16/13 SAUNDRA BROWN ARMSTRONG UNITED STATES DISTRICT JUDGE 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 4 STIP. RE SETTLEMENT CONFERENCE 12-cv-02443 SBA

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