Martin v. Hurricane Hauling & Demolition, Inc. et al
Filing
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STIPULATION AND ORDER re 18 STIPULATION WITH PROPOSED ORDER to Continue CMC filed by Paul Sonnabend, Jesus Martin, David Sherman, Hurricane Hauling & Demolition, Inc. Case Management Conference set for 6/23/2015 01:30 PM. Signed by Magistrate Judge Kandis A. Westmore on 3/24/15. (sisS, COURT STAFF) (Filed on 3/24/2015)
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Richard C. J. Wahng, Esq. SBN 225672
Christopher P. Sun, Esq., SBN 250109
Law Offices of Richard C. J. Wahng
152 Anza Street, Suite 201
Fremont, CA 94539
(510) 490-4447 Telephone
(510) 344-5755 Fax
Attorney for Plaintiff
JESUS MARTIN
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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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JESUS MARTIN, an individual,
Plaintiff,
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Civil Action No. CV14-0409 KAW
vs.
HURRICANE HAULING & DEMOLITION,
INC., a California corporation; PAUL
SONNABEND, an individual; DAVID
SHERMAN, an individual; and DOES 1
through 20 inclusive,
MOTION TO CONTINUE CASE
MANAGEMENT CONFERENCE;
STIPULATION TO CONTINUE CASE
MANAGEMENT CONFERENCE;
[PROPOSED] ORDER
Defendants.
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Plaintiff JESUS MARTIN hereby petitions the Court to continue the Initial Case
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Management Conference (currently scheduled for March 31, 2015 at 1:30 PM) for sixty (60)
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days, in light of the settlement efforts from the parties.
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MOTION TO CONTINUE CMC; STIPULATION TO CONTINUE CMC; [PROPOSED] ORDER
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On or about March 19, 2015, Plaintiff received certain discovery responses from
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Defendant Paul Sonnabend. Due to Defendant Sonnabend’s discovery responses, Plaintiff will
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be submitting a written offer for settlement by March 27, 2015. Negotiations are ongoing and
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may result in a settlement soon.
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Dated: March 20, 2015
Law Offices of Richard Wahng
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_/s/ CHRISTOPHER P. SUN
Christopher P. Sun, Esq.
Attorney for Plaintiff
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MOTION TO CONTINUE CMC; STIPULATION TO CONTINUE CMC; [PROPOSED] ORDER
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STIPULATION
Plaintiff’s counsel, Christopher P. Sun, and Defendants Hurricane Hauling and
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Demolition, Inc., and Paul Sonnabend hereby stipulate to continue the Initial Case Management
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Conference for sixty (60) days in light of the settlement efforts that the parties have made. While
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Defendant Hurricane Hauling and Demolition, Inc. is still unrepresented, Paul Sonnabend has
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stipulated to the continuance as the owners of Defendant Hurricane Hauling and Demolition, Inc.
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Dated: March 20, 2015
Law Offices of Richard Wahng
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_/s/ CHRISTOPHER P. SUN
Christopher P. Sun, Esq.
Attorney for Plaintiff
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__/s/ PAUL SONNABEND
Paul Sonnabend
Defendant
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Dated: March 20, 2015
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Attestation re: Electronic Signatures
In compliance with Local Rule 5-1, I, Christopher P. Sun, the efiler of this document
hereby attest that each person whose signature block appears above has concurred in this filing.
Dated: March 20, 2015
By:
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/s/ CHRISTOPHER P. SUN
Christopher P. Sun
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MOTION TO CONTINUE CMC; STIPULATION TO CONTINUE CMC; [PROPOSED] ORDER
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[PROPOSED] ORDER
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The request by Plaintiff’s counsel, Christopher P. Sun, to continue the Initial Case
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Management Conference of March 31, 2015 for the aforementioned case is hereby granted.
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The Case Management Conference shall be set for ________________________.
June 23, 2015
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Plaintiff’s counsel shall give notice to Defendants of this order.
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IT IS SO ORDERED.
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Dated: 3/24/15
____________________________________
UNITED STATES MAGISTRATE JUDGE
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MOTION TO CONTINUE CMC; STIPULATION TO CONTINUE CMC; [PROPOSED] ORDER
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