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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1 2 3 4 5 6 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 7 UNITED STATES DISTRICT COURT 8 NORTHERN DISTRICT OF CALIFORNIA 9 OAKLAND DIVISION 11 BRENDAN HUERTA, 12 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 10 13 14 vs. 16 UNITED STATES DEPARTMENT OF AGRICULTURE; AGRICULTURE RESEARCH SERVICE; DOES 1-20, Inclusive, 17 Defendants. 15 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 18 19 20 Plaintiff Brendan Huerta, by and through his counsel of record, Steve Brady, Esq. of 21 Brady Law Group, and Defendant, Akima Facilities Management, LLC. ("Defendant"), 22 by and through their counsel of record, Natalie M. Kuzma, Esq. of Littler Mendelson 23 24 25 P.C., hereby stipulate and agree as follows: 1. On September 18, 2017, Plaintiff filed his Motion Requesting Court 26 Decline to Exercise Supplemental Jurisdiction Over State Law Claims (dkt 81). 27 28 1 STIPULATION AND PROPOSED ORDER CHANGING BRIEFING SCHEDULE ON PLAINTIFF’S MOTION CASE NO. 16-cv-00434-KAW 2. 1 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, 3 2017. 4 3. The attorney at Brady Law Group responsible for this matter has a long 5 6 planned vacation from October 2 through October 9, and will be unable to prepare a 7 Reply if the briefing schedule is not changed. 8 9 4. The parties therefore request that Defendant’s Opposition to Plaintiff’s Motion Requesting Court Decline to Exercise Supplemental Jurisdiction Over State Law 11 415.459.7300 phone • 415.459.7303 fax B RADY L AW G ROUP 1015 Irwin Street, San Rafael, CA 94901 10 Claims be due October 9 and Plaintiff’s Reply be due October 16. 5. 12 If the Court requires it, the parties are amenable to having the hearing date 13 on the motion be continued to November 16, 2017, or the first available date thereafter. 14 IT IS SO STIPULATED AND AGREED 15 Dated: September 26, 2017 16 17 /s/ Natalie M.Kumza Gregory G. Iskander Natalie M. Kuzma LITTLER MENDELSON, P.C. Attorneys for Defendant AKIMA FACILITIES MANAGEMENT, LLC 18 19 20 21 Dated: September 26, 2017 22 23 24 /e/Steven J. Brady Steven J. Brady, Esq. Attorney for Plaintiff BRENDAN HUERTA 25 26 // 27 // 28 2 STIPULATION AND PROPOSED ORDER CHANGING BRIEFING SCHEDULE ON PLAINTIFF’S MOTION CASE NO. 16-cv-00434-KAW 1 [PROPOSED] ORDER 2 Pursuant to the stipulation of the parties, IT IS HEREBY ORDERED as follows: 3 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 5 October 16. ___ 6 The hearing date on the motion will remain November 2, 2017. or 7 ___ X 8 IT IS SO ORDERED. 9 ______________, 2017 9/27 11 415.459.7300 phone • 415.459.7303 fax B RADY L AW G ROUP 10 Dated: 1015 Irwin Street, San Rafael, CA 94901 The hearing date on the motion is continued to November 16, 2017. at 1:00 pm. , 12 13 14 HONORABLE KANDIS A. WESTMORE JUDGE OF THE U.S. DISTRICT COURT, NORTHERN DISTRICT OF CALIFORNIA 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION AND PROPOSED ORDER CHANGING BRIEFING SCHEDULE ON PLAINTIFF’S MOTION CASE NO. 16-cv-00434-KAW

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