Jetmore Stoddard-Nunez et al v. City Of Hayward et al

Filing 92

STIPULATION AND ORDER TO CONTINUE ADR CUT-OFF re 88 STIPULATION WITH PROPOSED ORDER to continue ADR Cut-Off filed by Jessie Lee Jetmore Stoddard-Nunez, City of Hayward, Manuel Troche. Signed by Magistrate Judge Kandis A. Westmore on 5/30/17. (sisS, COURT STAFF) (Filed on 5/30/2017)

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1 2 3 4 5 6 7 MICHAEL S, LAWSON (SBN 048172) City Attorney JOSEPH E. BRICK (SBN 253132) Assistant City Attorney CITY OF HAYWARD 777 B Street, 4th Floor Hayward, CA 94541-5007 Tel: (510) 583-4450 Fax: (510) 583-3660 Michael.Lawson@Hayward–ca.gov Joseph.Brick@Hayward-ca.gov Attorneys for Defendants CITY OF HAYWARD AND OFFICER TROCHE 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA (OAKLAND DIVISION) 10 11 CASE NO.: C13-04490 KAW (ADR) JESSIE LEE JETMORE STODDARDNUNEZ, et al., [Assigned for All Purposes to Hon. Kandis Westmore, Courtroom 4] 12 13 14 Plaintiff, v. JOINT STIPULATION TO CONTINUE ADR CUT-OFF; [PROPOSED] COURT ORDER CITY OF HAYWARD et al, 15 Defendants. 16 COMPLAINT FILED: September 27, 2013 TRIAL DATE: December 4, 2017 17 18 19 20 21 IT IS HEREBY STIPULATED by and between Plaintiff JESSIE LEE JETMORE 22 STODDARD-NUNEZ, and Defendants CITY OF HAYWARD and OFFICER TROCHE 23 through their respective attorneys of record, as follows: 24 1. 25 26 27 That the parties attended a mediation on September 1, 2016 in this matter with John Barg of Barg, Coffin, Lewis & Trapp, LLP. (Dkt. no. 71); 2. That following the unsuccessful mediation, a settlement conference was set for September 27, 2017 by the honorable Magistrate Laporte (Dkt. 87); 28 Stoddard-Nunez v. City of Hayward Case No. C13-04490 KAW Stipulation to Continue Settlement Conference -1- 1 3. 2 3 September 27, 2017 date for a settlement conference is infeasible; 4. 4 5 That due to Counsels’ trial schedule and prearranged vacation schedules, the That the Parties have arranged a new date, October 4, 2017 with Magistrate Laporte’s office contingent on this Court’s permission; 5. That the Parties agree that the present Settlement Conference should be continued 6 to October 4, 2017. This will facilitate the efficient use of Court, City, and 7 Plaintiff’s resources. 8 9 6. The parties further agree that a copy of the facsimile transmittal of this document and signatures shall have the same force and effect as the original of such 10 document and/or signatures and that this document may be signed in counterpart 11 and by electronic signature. 12 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 13 14 15 LAW OFFICES OF JOHN L. BURRIS DATED: May 15, 2017 By: /s/ Adante D. Pointer Adante Pointer, Esq. Attorney for Plaintiff Jessie Stoddard-Nunez, et al. 16 17 18 19 20 DATED: May 15, 2017 MICHAEL S. LAWSON, City Attorney 21 By: 22 23 ___________/s/_Joseph Brick___________ Joseph E. Brick, Assistant City Attorney Attorneys for City of Hayward & Officer Troche 24 25 26 27 28 Stoddard-Nunez v. City of Hayward Case No. C13-04490 KAW Stipulation to Continue Settlement Conference -2- 1 2 3 ORDER The foregoing stipulation having been read and considered and good cause appearing therefor, 4 IT IS HEREBY ORDERED, as follows: 5 The Settlement Conference set for September 27, 2017 is hereby continued to October 4, 6 7 2017 or thereafter as Magistrate Judge Elizabeth D. Laporte’s calendar permits. All other dates and deadlines will remain unchanged. 8 9 5/30/17 DATED: ________________________ 10 11 _____________________________________ Hon. Kandis Westmore United States Magistrate Judge Northern District of California 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Stoddard-Nunez v. City of Hayward Case No. C13-04490 KAW Stipulation to Continue Settlement Conference -3-

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