Electrical Industry Service Bureau, Inc., et al v. J Copello International Corp. d/b/a Copello Electric Co.

Filing 27

ORDER GRANTING 26 STIPULATION to Continue CMC. Case Management Statement due by 12/31/2015. Initial Case Management Conference set for 1/8/2016 11:00 AM in Courtroom 5, 2nd Floor, Oakland. Signed by Judge Jeffrey S. White on 10/14/15. (jjoS, COURT STAFF) (Filed on 10/14/2015)

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1 2 3 4 5 6 Benjamin K. Lunch, State Bar No. 246015 Wan Yan Ling, State Bar No. 297029 NEYHART, ANDERSON, FLYNN & GROSBOLL 369 Pine Street, Suite 800 San Francisco, CA 94104 Tel. (415) 677-9440 Fax (415) 677-9445 Email: blunch@neyhartlaw.com wling@neyhartlaw.com Attorneys for Plaintiffs 10 Patricia Walsh, State Bar No. 121098 LEONIDOU & ROSIN 777 Cuesta Drive, Suite 200 Mountain View, CA 94040 Tel. (650) 691-2888 Fax (650) 691-2889 Email: pwalsh@alr-law.com 11 Attorneys for Defendants 7 8 9 12 UNITED STATES DISTRICT COURT 13 FOR THE NORTHERN DISTRICT OF CALIFORNIA 14 (Oakland Division) 15 16 17 ELECTRICAL INDUSTRY SERVICE BUREAU, INC., et al. 18 19 20 Case No. 15-CV-1946-JSW STIPULATION AND PROPOSED ORDER TO CONTINUE CASE MANAGEMENT CONFERENCE Plaintiffs, v. J COPELLLO INTERNATIONAL CORP. d/b/a COPELLO ELECTRIC CO. 21 Defendant. 22 ______________________________________ 23 24 25 26 27 NEYHART, 28 ANDERSON, FLYNN & GROSBOLL ATTORNEYS AT LAW -1STIPULATION AND PROPOSED ORDER TO CONTINUE CASE MANAGEMENT CONFERENCE Case No. 15-CV-1946-JSW STIPULATION AND PROPOSED ORDER TO CONTINUE CASE 1 2 MANAGEMENT CONFERENCE 3 Pursuant to Local Rules 6-1 and 6-2, the parties through undersigned counsel hereby 4 stipulate and respectfully request that the Court continue the Initial Case Management 5 Conference scheduled for December 4, 2015 at 11:00 AM in Courtroom 5, 2nd Floor, Oakland 6 Courthouse. The parties declare in support of this request: 7 WHEREAS, attorneys for Plaintiffs have a motion hearing on an unrelated case1 8 9 scheduled for December 4, 2015 at 9:00 AM in the San Francisco Courthouse; WHEREAS, both Plaintiffs and Defendant are hopeful of settling this case and expect to 10 11 have settlement discussions in the interim; 12 13 THEREFORE, pursuant to Local Rules 6-1 and 6-2, the parties though their respective attorneys stipulate as follows: 14 The parties respectfully request that the Court continue the Initial Case Management 15 16 Conference till January 8, 2016. 17 IT IS SO STIPULATED AND AGREED. 18 19 Dated: October 12, 2015 By: /s/ Wan Yan Ling WAN YAN LING Attorney for Plaintiffs Neyhart, Anderson, Flynn & Grosboll Dated: October 13, 2015 By: /s/ Patricia Walsh PATRICIA WALSH Attorney for Defendant Leonidou & Rosin 20 21 22 23 24 25 26 27 1 NEYHART, 28 ANDERSON, FLYNN & GROSBOLL ATTORNEYS AT LAW Case No. 13-CV-3228-SI, Golden Gate Lodge of Plasteres and Shophands Local Union No. 66, OPCMIA, AFLCIO, et al. v. Ironwood Plastering, Inc., et al. -2STIPULATION AND PROPOSED ORDER TO CONTINUE CASE MANAGEMENT CONFERENCE Case No. 15-CV-1946-JSW 1 PURSUANT TO STIPULATION, IT IS SO ORDERED. 2 3 Dated: October 14, 2015 _______________________ Hon. Jeffrey S. White United States District Judge 4 5 6 ATTESTATION 7 8 9 I, Wan Yan Ling, am the ECF user whose identification and password are being used to file the STIPULATION FOR EXTENSION OF DISCOVERY. In compliance with Civil Local 10 Rule 5-1(i)(3), I hereby attest that Patricia Walsh has concurred in this filing. 11 12 13 Dated: October 13, 2015 By: /s/ Wan Yan Ling WAN YAN LING Attorney for Plaintiffs Neyhart, Anderson, Flynn & Grosboll 14 15 16 17 18 19 20 21 22 23 24 25 26 27 NEYHART, 28 ANDERSON, FLYNN & GROSBOLL ATTORNEYS AT LAW -3STIPULATION AND PROPOSED ORDER TO CONTINUE CASE MANAGEMENT CONFERENCE Case No. 15-CV-1946-JSW

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