Browder v. Colvin
Filing
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STIPULATION AND ORDER re 18 STIPULATION WITH PROPOSED ORDER To Extend Time for Plaintiff's MSJ filed by Carolyn W. Colvin, Michael Wayne Browder Motions deadline due by 2/2/2015. Signed by Magistrate Judge Kandis A. Westmore on 12/10/14. (sisS, COURT STAFF) (Filed on 12/10/2014)
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KATHERINE SIEGFRIED
Law Office of Katherine Siegfried, Esq.
1814 Franklin Street, Suite 210
Oakland, California 94612
Phone: (510) 465-0016
Fax: (510) 465-0017
kat@siegfriedlegal.com
MELINDA L. HAAG, CSBN 132612
United States Attorney
DONNA L. CALVERT, SBN IL 6191786
Regional Chief Counsel, Region IX
Social Security Administration
JENNIFER LEE TARN, CSBN 240609
Special Assistant United States Attorney
160 Spear Street, Suite 800
San Francisco, CA 94105
Telephone: 415-977-8825
Facsimile: 415-744-0134
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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MICHAEL WAYNE BROWDER,
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Plaintiff,
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vs.
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CAROLYN W. COLVIN, Acting Commissioner
Of Social Security,
Defendant.
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CIVIL NO. 14-CV-03696-KAW
STIPULATION AND PROPOSED
ORDER FOR A THIRTY DAY
EXTENSION FOR PLAINTIFF TO
FILE HIS MOTION FOR SUMMARY
JUDGMENT
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IT IS HEREBY STIPULATED, by and between Plaintiff MICHAEL W. BROWDER (Plaintiff)
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and Defendant Commissioner of Social Security (Defendant), by and through their respective counsel of
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record, that Plaintiff shall have an extension of time of thirty (30) days to file Plaintiff’s Motion For
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Summary Judgment. The current due date is January 2, 2015. The new due date will be February 2,
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2015. This is the first extension of time requested by Plaintiff. Plaintiff requests this extension because
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STIPULATION
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(CIVIL NO. 14-CV-03696-KAW)
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Plaintiff’s counsel is a solo practitioner, did not represent Plaintiff at the administrative hearing and
needs additional time to thoroughly review the administrative record before preparing the Motion for
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Summary Judgment. Additionally, Plaintiff’s counsel will be out of town from December 29th through
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January 2nd.
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The parties further stipulate that the Court’s Scheduling Order shall be modified accordingly,
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with February 2, 2015 set for Plaintiff’s Motion for Summary Judgment, March 2, 2015 for Defendant’s
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Cross Motion/Motion for Summary Judgment and March 16, 2015 for Plaintiff’s Reply.
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Date: December 9, 2014
KATHERINE SIEGFRIED
Law Office of Katherine Siegfried, Esq.
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By:
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/s/ Katherine Siegfried*
Katherine Siegfried
Attorney for the Plaintiff
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Date: December 9, 2014
MELINDA HAAG
United States Attorney
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By:
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/s/Jennifer Lee Tarn
JENNIFER LEE TARN
Special Assistant United States Attorney
Attorney for Defendant
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OF COUNSEL TO DEFENDANT:
DONNA L. CALVERT
Acting Regional Chief Counsel, Region IX
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* I hereby attest that I have on file all holograph
signatures for any signatures indicated by a
"conformed" signature (/S/) within this e-filed
document.
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STIPULATION
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(CIVIL NO. 14-CV-03696-KAW)
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ORDER
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PURSUANT TO THE STIPULATION FOR EXTENSION OF TIME FOR PLAINTIFF’S MOTION
FOR SUMMARY JUDGEMENT, IT IS SO ORDERED.
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Dated: ________________________
12/10/14
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HON. Magistrate Judge Kandis A. Westmore
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STIPULATION
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(CIVIL NO. 14-CV-03696-KAW)
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