Jordan v. The Presidio Trust et al
Filing
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STIPULATION AND ORDER CHANGING TIME re 69 STIPULATION WITH PROPOSED ORDER re 68 Order,, Set Motion and Deadlines/Hearings, filed by Victoria Lipnic, Jean S Fraser, The U.S. Equal Opportunity Commission, The Presidio Trust. Signed by Magistrate Judge Kandis A. Westmore on 5/31/17. (sisS, COURT STAFF) (Filed on 5/31/2017)
1 TIMOTHY S. THIMESCH, ESQ. (No. 148213)
tim@thimeschlaw.com
2 THIMESCH LAW OFFICES, PLC
158 Hilltop Crescent
3 Walnut Creek, CA 94576-3452
Direct: (925) 588-0401
4 Facsimile: (888) 210-8868
5 Attorney for Plaintiff PATRICIA JORDAN
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CHAD A. READLER
7 Acting Assistant Attorney General
CARLOTTA WELLS
8 Assistant Branch Director, Federal Programs Branch, Civil Division
LISA ZEIDNER MARCUS (N.Y. Bar 4461679) - Trial Attorney
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lisa.marcus@usdoj.gov
United States Department of Justice
10 Civil Division, Federal Programs Branch
20 Massachusetts Avenue, NW, 7th Floor
11 Washington, D.C. 20530
Telephone: (202) 514-3336
12 Facsimile: (202) 616-8470
13 Attorneys for Defendants, PRESIDIO TRUST, THE U.S. EQUAL EMPLOYMENT
OPPORTUNITY COMMISSION, JEAN S. FRASER, and VICTORIA LIPNIC
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
OAKLAND DIVISION
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Plaintiff,
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v.
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PRESIDIO TRUST; THE U.S. EQUAL
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EMPLOYMENT OPPORTUNITY
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COMMISSION; JEAN S. FRASER, in her
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official capacity as Chief Executive Officer of the )
Presidio Trust; and VICTORIA LIPNIC, in her
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official capacity as Acting Chair of the EEOC,
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Defendants.
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PATRICIA JORDAN,
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Case No. 16-cv-02122 KAW
STIPULATED REQUEST FOR ORDER
CHANGING TIME
Pursuant to Local Rule 6-2
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Rule 6-2 Stipulated Request - 16-cv-02122 KAW
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Pursuant to Civil Local Rules 6-1(b) and 6-2 of the Northern District of California, defendants,
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2 by and through their counsel, and with the consent of plaintiff Patricia Jordan, respectfully submit this
3 stipulated request to modify the deadline for defendants’ reply brief.
Defendants have no opposition to the recent extension requested by plaintiff and entered today
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5 by the Court, except that agency counsel at the Equal Employment Opportunity Commission (one of
6 two defendant agencies) has previously scheduled leave for June 7 through June 18, 2017. Under the
7 current schedule, plaintiff’s opposition to the pending motion to dismiss is due on June 8, and
8 defendants’ reply is due on June 15. Given the above-referenced leave plans, defendants respectfully
9 request an additional week, until June 22, to submit their reply.
Plaintiff consents to this request. The requested modification will not alter any other event or
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11 deadline. A motions hearing is scheduled for July 6, 2017 at 11:00am, and the next case management
12 conference in this case is scheduled for August 15, 2017 at 1:30pm.
IT IS SO STIPULATED AND REQUESTED.
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14 Dated: May 12, 2017
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18 Dated: May 12, 2017
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/s/ Lisa Zeidner Marcus
LISA ZEIDNER MARCUS1
Counsel for Defendants, PRESIDIO TRUST; THE U.S. EQUAL
EMPLOYMENT OPPORTUNITY COMMISSION; JEAN S.
FRASER, in her official capacity; and VICTORIA LIPNIC, in her
official capacity
/s/ Timothy S. Thimesch
TIMOTHY S. THIMESCH, ESQ.
THIMESCH LAW OFFICES
Attorneys for Plaintiff PATRICIA JORDAN
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[Proposed] ORDER
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Pursuant to stipulation, it is SO ORDERED.
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5/31/17
24 DATE: ________________________
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__________________________________________
HON. KANDIS A. WESTMORE
UNITED STATES MAGISTRATE JUDGE
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I, Lisa Zeidner Marcus, hereby attest, in accordance with the Civil L.R. 5-1(i)(3), the concurrence
in the filing of this document has been obtained from the other signatory listed here.
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Rule 6-2 Stipulated Request - 16-cv-02122 KAW
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