Brendan Huerta v. United States Department of Agriculture et al
Filing
84
STIPULATION AND ORDER re 83 . STIPULATION WITH PROPOSED ORDER re 81 MOTION Requesting Court Decline to Exercise Supplemental Jurisdiction Over State Law Claims filed by Brendan Huerta, Akima Facilities Management, LLC. Set/Rese t Deadlines as to 83 STIPULATION WITH PROPOSED ORDER re 81 MOTION Requesting Court Decline to Exercise Supplemental Jurisdiction Over State Law Claims , 81 MOTION Requesting Court Decline to Exercise Supplemental Jurisdiction Over State Law Claims. Responses due by 10/9/2017. Replies due by 10/16/2017. Motion Hearing set for 11/16/2017 01:00 PM in Courtroom 4, 3rd Floor, Oakland before Magistrate Judge Kandis A. Westmore. Signed by Magistrate Judge Kandis A. Westmore on 9/27/17. (sisS, COURT STAFF) (Filed on 9/27/2017)
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STEVEN J. BRADY, ESQ. (State Bar No. 116651)
BRADY LAW GROUP
1015 Irwin Street
San Rafael, CA 94901
Phone: 415.459.7300
Fax: 415.459.7303
Email: mail@bradylawgroup.com
Attorney for Plaintiff,
BRENDAN HUERTA
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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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BRENDAN HUERTA,
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Case No.: 16-cv-00434-KAW
Plaintiff,
415.459.7300 phone • 415.459.7303 fax
B RADY L AW G ROUP
1015 Irwin Street, San Rafael, CA 94901
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vs.
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UNITED STATES DEPARTMENT OF
AGRICULTURE; AGRICULTURE
RESEARCH SERVICE; DOES 1-20,
Inclusive,
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Defendants.
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STIPULATION AND PROPOSED
ORDER CHANGING BRIEFING
SCHEDULE ON PLAINTIFF’S MOTION
REQUESTING COURT DECLINE TO
EXERCISE SUPPLEMENTAL
JURISDICTION OVER STATE LAW
CLAIMS
Date: Thursday, November 2, 2017
Time: 11:00 a.m.
Judge: The Hon. Kandis A. Westmore
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Plaintiff Brendan Huerta, by and through his counsel of record, Steve Brady, Esq. of
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by and through their counsel of record, Natalie M. Kuzma, Esq. of Littler Mendelson
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P.C., hereby stipulate and agree as follows:
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On September 18, 2017, Plaintiff filed his Motion Requesting Court
26 Decline to Exercise Supplemental Jurisdiction Over State Law Claims (dkt 81).
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STIPULATION AND PROPOSED ORDER CHANGING BRIEFING SCHEDULE ON PLAINTIFF’S
MOTION
CASE NO. 16-cv-00434-KAW
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Pursuant to Local Rule 7-3, Defendant’s Opposition is due October 2 and
2 Plaintiff’s Reply is due October 9. The hearing on the motion is set for November 2,
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The attorney at Brady Law Group responsible for this matter has a long
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planned vacation from October 2 through October 9, and will be unable to prepare a
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The parties therefore request that Defendant’s Opposition to Plaintiff’s
Motion Requesting Court Decline to Exercise Supplemental Jurisdiction Over State Law
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415.459.7300 phone • 415.459.7303 fax
B RADY L AW G ROUP
1015 Irwin Street, San Rafael, CA 94901
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Claims be due October 9 and Plaintiff’s Reply be due October 16.
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If the Court requires it, the parties are amenable to having the hearing date
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IT IS SO STIPULATED AND AGREED
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Dated: September 26, 2017
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/s/ Natalie M.Kumza
Gregory G. Iskander
Natalie M. Kuzma
LITTLER MENDELSON, P.C.
Attorneys for Defendant
AKIMA FACILITIES MANAGEMENT, LLC
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21 Dated: September 26, 2017
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/e/Steven J. Brady
Steven J. Brady, Esq.
Attorney for Plaintiff
BRENDAN HUERTA
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STIPULATION AND PROPOSED ORDER CHANGING BRIEFING SCHEDULE ON PLAINTIFF’S
MOTION
CASE NO. 16-cv-00434-KAW
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[PROPOSED] ORDER
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Pursuant to the stipulation of the parties, IT IS HEREBY ORDERED as follows:
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Defendant’s Opposition to Plaintiff’s Motion Requesting Court Decline to Exercise
4 Supplemental Jurisdiction Over State Law Claims is due October 9 and Plaintiff’s Reply is due
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The hearing date on the motion will remain November 2, 2017.
or
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IT IS SO ORDERED.
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______________, 2017
9/27
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415.459.7300 phone • 415.459.7303 fax
B RADY L AW G ROUP
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1015 Irwin Street, San Rafael, CA 94901
The hearing date on the motion is continued to November 16, 2017. at 1:00 pm.
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HONORABLE KANDIS A. WESTMORE
JUDGE OF THE U.S. DISTRICT COURT,
NORTHERN DISTRICT OF CALIFORNIA
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STIPULATION AND PROPOSED ORDER CHANGING BRIEFING SCHEDULE ON PLAINTIFF’S
MOTION
CASE NO. 16-cv-00434-KAW
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