Engurasoff v. Zayo Group LLC

Filing 21

Order by Magistrate Judge Donna M. Ryu granting 19 Stipulation.(dmrlc2, COURT STAFF) (Filed on 9/15/2014) Modified on 9/15/2014 (dmrlc2, COURT STAFF).

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Case4:14-cv-00689-DMR Document19 Filed09/12/14 Page1 of 2 1 2 3 4 5 6 MARK S. ASKANAS (State Bar No. 122745) SCOTT P. JANG (State Bar No. 260191) JACKSON LEWIS P.C. 50 California Street, 9th Floor San Francisco, CA 94111 Telephone: 415.394.9400 Facsimile: 415.394.9401 Email: askanasm@jacksonlewis.com scott.jang@jacksonlewis.com Attorneys for Defendant ZAYO GROUP, LLC 7 8 9 10 11 12 ALAN F. COHEN (State Bar No. 194075) LAW OFFICES OF ALAN F. COHEN 101 Montgomery Street, Suite 2050 San Francisco, CA 94104 Telephone: 415.984.1943 Facsimile: 415.984.1953 Email: alan@alancohenlaw.com Attorney for Plaintiff SERGE ENGURASOFF 13 UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA 15 16 SERGE ENGURASOFF, an individual, Case No. CV-14-00689 DMR 17 Plaintiff, STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINE FOR MEDIATION 18 v. 19 20 21 ZAYO GROUP, LLC, a limited liability company, and DOES 1 through 100, inclusive, Defendants. 22 23 The deadline for the parties to participate in mediation through the Northern District ADR 24 program is currently set for September 24, 2014. However, due to difficulties in scheduling, the 25 parties will not have completed discovery necessary for an effective mediation by that date, in 26 particular the parties’ own depositions. The parties expect to conclude these initial depositions by 27 the first week of October. Therefore, while the parties believe that mediation will be beneficial, 28 the parties also believe that mediation will be most fruitful after this discovery can be completed. 1 STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINE FOR MEDIATION Case No. CV-14-00689 DMR Case4:14-cv-00689-DMR Document19 Filed09/12/14 Page2 of 2 1 2 Accordingly, for the reasons indicated above, the parties hereby stipulate and respectfully request the Court to continue the deadline for participation in mediation to October 31, 2014. 3 4 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 5 6 LAW OFFICES OF ALAN F. COHEN 7 8 Dated: September 12, 2014 By: 9 10 [s] Alan Cohen Alan F. Cohen Attorney for Plaintiff SERGE ENGURASOFF 11 12 JACKSON LEWIS P.C. 13 14 Dated: September 12, 2014 By: 15 16 /s/ Mark Askanas Mark S. Askanas Scott P. Jang Attorneys for Defendant ZAYO GROUP, LLC 17 18 PURSUANT TO STIPULATION, IT IS SO ORDERED. 19 20 15 Dated: September __, 2014 _______________________________ United States Magistrate Judge 21 22 23 24 25 26 27 28 2 STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINE FOR MEDIATION Case No. CV-14-00689 DMR

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