Kihagi v. City of San Francisco

Filing 28

STIPULATION AND ORDER re 27 STIPULATION WITH PROPOSED ORDER re 20 Brief, 19 MOTION to Stay , 26 Order,, Terminate Motions,, Terminate Deadlines and Hearings,, Set Deadlines/Hearings, 08/17/2015 filed by Xelan P rop 1, LLC, Anna Kihagi, Renka Prop, LLC, Zoriall LLC, City of San Francisco, California, Set/Reset Deadlines as to 27 STIPULATION WITH PROPOSED ORDER re 20 Brief, 19 MOTION to Stay , 26 Order,, Terminate Motions,, Ter minate Deadlines and Hearings,, Set Deadlines/Hearings, 08/17/2015, 19 MOTION to Stay . Responses due by 8/17/2015. Replies due by 8/24/2015.. Signed by Magistrate Judge Kandis A. Westmore on 8/14/15. (sisS, COURT STAFF) (Filed on 8/14/2015)

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1 Julie N. Nong (SBN 208013) 2 NT Law 2600 W. Olive Ave., 5th Fl., #647 3 Burbank, CA 91505 4 Tel: (888) 588-0428 Fax: (888) 588-0427 5 Email: julienong@ntlawgroup.com 6 Attorneys for Plaintiffs Anna Kihagi, Xelan Prop 1, LLC, 7 Renka Prop, LLC, and Zoriall LLC 8 UNITED STATES DISTRICT COURT 9 10 11 NORTHERN DISTRICT OF CALIFORNIA ) ) ) ) ) ) ) Plaintiffs, ) vs. ) ) CITY OF SAN FRANCISCO, ) CALIFORNIA, a California public facilities corporation; VICTORIA L. ) WEATHERFORD, a natural person; ) MICHAEL WEISS, a natural person, ) TONY PELEA, a natural person; MARICIO HERNANDDEA, a natural ) person and DOES 1-30, inclusive, ) ) Defendants. ) ANNA KIHAGI, an individual, 12 XELAN PROP 1, LLC, a California limited liability company, RENKA 13 PROP, LLC, a California limited liability company, and ZORIALL 14 LLC, a California limited liability company, 15 16 17 18 19 20 21 22 23 CASE No. 15-cv-01168 KAW STIPULATION TO EXTEND DUE DATE FOR OPPOSITION TO MOTION FOR ABSTENTION UNTIL AUGUST 17, 20015 AND TO EXTEND DATE FOR CITY’S REPLY UNTIL AUGUST 24, 2015 Hearing Date: 9/17/2015 Time: 11:00 am Place: 1301 Clay, 3rd Floor, Oakland Complaint Filed: March 12, 2015 Trial Date: None set 24 25 26 27 1 28 STIPULATION 1 2 THE PARTIES BY AND THROUGH THEIR ATTORNEYS OF RECORD HEREBY STIPULATE AS FOLLOWS: 3 4 Plaintiffs and the defendants hereby agree and stipulate subject to Court’s 5 approval that the due date plaintiffs’ opposition to the defendants’ Motion for 6 Abstention Pending Resolution of State Court Proceeding shall be extended from 7 8 9 10 11 August 13, 2015 until August 17, 2015 and further that the due date for defendants’ reply to the opposition to the Motion shall be extended from August 20, 2015 until August 24, 2015. SO STIPULATED. Dated: August 13, 2015 NT Law /s/Julie Nong 12 By: JULIE N. NONG Attorneys for Plaintiffs 13 14 15 16 19 DENNIS J. HERRERA City Attorney CHERYL ADAMS Chief Trial Deputy MARGARET W. BAUMGARTNER Deputy City Attorney 20 /s/ Margaret Baumgartner 21 By:_______________________ MARGARET W. BAUMGARTNER Attorneys for Defendant CITY AND COUNTY OF SAN FRANCISCO 17 18 22 23 Dated: August 13, 2015 24 25 26 27 2 28 STIPULATION 1 2 3 ORDER ON STIPULATION 4 5 6 7 8 9 Based on the foregoing Stipulation by and between Plaintiffs and Defendant, IT IS HEREBY ORDERED that: 1. The due date for Plaintiffs’ opposition to the Defendants’ motion for abstention is extended from August 13, 2015 until August 17, 2015. The due date for the defendants’ reply to the opposition is extended from August 20, 2015 until August 24, 2015. The hearing date remains as previously scheduled. 10 11 12 IT IS SO ORDERED. 14 --Dated: August 13, 2015 13 14 _____________________________ 15 Magistrate xxxxxxx xxxxxx United States District Court Judge 16 17 18 19 20 21 22 23 24 25 26 27 3 28 STIPULATION

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