Pi-Net International, Inc. v. National 1st Credit Union
Filing
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STIPULATION AND ORDER Case Management Conference set for 3/6/2013 03:00 PM. VIA TELEPHONE. Signed by Judge ARMSTRONG on 1/23/12. (lrc, COURT STAFF) (Filed on 1/23/2013)
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John V. Picone III, Bar No. 187226
jpicone@hopkinscarley.com
Jennifer S. Coleman, Bar No. 213210
jcoleman@hopkinscarley.com
HOPKINS & CARLEY
A Law Corporation
The Letitia Building
70 South First Street
San Jose, CA 95113-2406
mailing address:
P.O. Box 1469
San Jose, CA 95109-1469
Telephone:
(408) 286-9800
Facsimile:
(408) 998-4790
Attorneys for Plaintiff and Counter-Claim Defendant
PI-NET INTERNATIONAL, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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OAKLAND DIVISION
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PI-NET INTERNATIONAL, INC.,
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Plaintiff,
v.
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SAN JOSE CREDIT UNION,
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CASE NO. 4:12-CV-05732-SBA
STIPULATION AND [PROPOSED]
ORDER CONTINUING THE INITIAL
CASE MANAGEMENT CONFERENCE
FROM FEBRUARY 5, 2013 TO
FEBRUARY 20, 2013 OR THE NEXT
AVAILABLE DATE
Defendant.
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NATIONAL 1ST CREDIT UNION,
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Counterclaimant,
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v.
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PI-NET INTERNATIONAL, INC.,
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Counterclaim-Defendant
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H OPKINS & C ARLEY
ATTORNEYS AT LAW
SAN JOSE
000\973021.2
STIPULATION AND [PROPOSED] ORDER CONTINUING THE INITIAL CASE MANAGEMENT CONFERENCE FROM FEBRUARY 5,
2013 TO FEBURARY 20, 2013 OR THE NEXT AVAILABLE DATE
4:12-CV-05732-SBA
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WHEREAS, pursuant to Civil L.R. 16-2(e), and in accordance with the Honorable
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Saundra B. Armstrong’s Standing Order (Dkt. 13), the parties hereby agree to and stipulate to
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continue the telephonically held Case Management Conference in this matter currently scheduled
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for February 5, 2013 to February 20, 2013 or the next available date, as counsel for the Plaintiff is
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out of the state in depositions on February 5, 2013.
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WHEREAS, the parties further agree to and stipulate that the Case Management
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Statement filing deadline currently scheduled for January 30, 2013 be moved to February 13,
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2013 or seven days prior to the rescheduled Case Management Conference.
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IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
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HOPKINS & CARLEY
A Law Corporation
Dated: January 18, 2013
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By: /s/ John V. Picone III
John V. Picone III, attorney for Plaintiff
and Counterclaim-Defendant
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BRYAN CAVE LLP
Dated: January 18, 2013
By:/s/ Robert G. Lancaster
Robert G. Lancaster, Attorney for
Defendant and Counterclaimant
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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The telephonic Case Management Conference currently scheduled for February 5,
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2013 is CONTINUED to March 6, 2013 at 3:00 p.m. Prior to the date scheduled for the
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conference, the parties shall meet and confer and prepare a joint Case Management
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Conference Statement which complies with the Standing Order for All Judges of the
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Northern District of California and the Standing Orders of this Court. Plaintiff shall
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assume responsibility for filing the joint statement no less than seven (7) days prior to the
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conference date. Plaintiff’s counsel is to set up the conference call with all the parties on
H OPKINS & C ARLEY
ATTORNEYS AT LAW
SAN JOSE
-2000\973021.2
STIPULATION AND [PROPOSED] ORDER CONTINUING THE INITIAL CASE MANAGEMENT CONFERENCE FROM FEBRUARY 5,
2013 TO FEBURARY 20, 2013 OR THE NEXT AVAILABLE DATE
4:12-CV-05732-SBA
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the line and call chambers at (510) 637-3559. NO PARTY SHALL CONTACT
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CHAMBERS DIRECTLY WITHOUT PRIOR AUTHORIZATION OF THE COURT.
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IT IS SO ORDERED.
Dated: 1-23-13
____________________________________
Honorable Saundra B. Armstrong
UNITED STATES DISTRICT JUDGE
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H OPKINS & C ARLEY
ATTORNEYS AT LAW
SAN JOSE
-3000\973021.2
STIPULATION AND [PROPOSED] ORDER CONTINUING THE INITIAL CASE MANAGEMENT CONFERENCE FROM FEBRUARY 5,
2013 TO FEBURARY 20, 2013 OR THE NEXT AVAILABLE DATE
4:12-CV-05732-SBA
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SIGNATURE ATTESTATION
Pursuant to Local Rule 5-1(i)(3), I hereby certify that I have obtained the concurrence in
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the filing of this document from all the signatories for whom a signature is indicated by a
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“conformed” signature (/s/) within this e-filed document and I have on file records to support this
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concurrence for subsequent production for the Court if so ordered or for inspection upon request.
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HOPKINS & CARLEY
A Law Corporation
Dated: January 18, 2013
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By: /s/ John V. Picone III
John V. Picone III, attorney for Plaintiff
and Counterclaim-Defendant
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H OPKINS & C ARLEY
ATTORNEYS AT LAW
SAN JOSE
-4000\973021.2
STIPULATION AND [PROPOSED] ORDER CONTINUING THE INITIAL CASE MANAGEMENT CONFERENCE FROM FEBRUARY 5,
2013 TO FEBURARY 20, 2013 OR THE NEXT AVAILABLE DATE
4:12-CV-05732-SBA
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