Christina Geheran et al v. Golden Gate National Recreation Area

Filing 29

STIPULATION AND ORDER AS MODIFIED re 28 . STIPULATION WITH PROPOSED ORDER RE: SETTLEMENT CONFERENCE filed by Christina Geheran, Christopher Geheran, United States. Settlement conference set for 10/17/17 is vacated. Case Management Statement due by 1/16/2018. Further Case Management Conference set for 1/23/2018 01:30 PM. Signed by Magistrate Judge Kandis A. Westmore on 10/12/17. (sisS, COURT STAFF) (Filed on 10/12/2017)

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1 BRIAN J. STRETCH (CABN 163973) United States Attorney 2 SARA WINSLOW (DCBN 457643) Chief, Civil Division 3 DAVID A. PEREDA (CABN 237982) Assistant United States Attorney 1301 Clay Street 4 Oakland, CA 94612 Telephone: (510) 637-3701 5 FAX: (510) 637-3724 David.Pereda@usdoj.gov 6 7 Attorneys for Defendant United States 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 OAKLAND DIVISION 11 12 13 14 15 16 17 18 CHRISTINA GEHERAN and CHRISTOPHER ) GEHERAN, ) ) Plaintiff, ) ) v. ) ) GOLDEN GATE NATIONAL RECREATION ) AREA, a public entity, and DOES 1-25, ) ) Defendant. ) ) ) Case No.: C17-01383 KAW STIPULATION AND PROPOSED ORDER RE SETTLEMENT CONFERENCE AS MODIFIED Date: October 17, 2017 Time: 10:00 a.m. Before: The Hon. Nandor J. Vadas 19 20 21 22 23 24 25 26 27 28 STIPULATION AND PROPOSED ORDER C17-01383 KAW 1 1 Pursuant to Civil L.R. 7-12, the parties, through their counsel, hereby stipulate as follows: 2 1. On August 1, 2017, the Court referred this case to a Magistrate Judge for a Settlement 3 Conference. ECF No. 21. 4 2. Two weeks later, a Settlement Conference with the Hon. Nandor J. Vandas was set for 5 October 17, 2017. ECF No. 24. 6 3. On October 2, 2017, the case was reassigned to the undersigned Assistant United States 7 Attorney (“AUSA”). The AUSA who was previously assigned to the case has departed the United States 8 Attorney’s Office. 9 4. The parties have lodged timely settlement conference statements. 10 5. As a result of the case reassignment and the government’s desire to evaluate information 11 exchanged through the parties’ statements, the parties agree that a ninety-day continuance of the 12 Settlement Conference is appropriate and thus respectfully request that the Court grant such a continuance. 13 14 DATED: October 11, 2017 Respectfully submitted, 15 BRIAN J. STRETCH United States Attorney 16 /s/ David Pereda DAVID PEREDA Assistant United States Attorney Attorney for Defendant 17 18 19 WALKER, HAMILTON, KOENIG & BURBIDGE, LLP 20 /s/ Beau R. Burbidge* BEAU R. BURBIDGE Attorney for Plaintiff 21 22 *In compliance with Civil Local Rule 5-1(i)(3), the filer of this document attests under penalty of perjury 23 that each signatory has concurred in the filing of this document. 24 25 26 27 28 STIPULATION AND PROPOSED ORDER C17-01383 KAW 2 [PROPOSED] ORDER AS MODIFIED 1 2 The Settlement Conference currently scheduled for October 17, 2017, is VACATED and will be 3 rescheduled for a date within ninety days. Additionally, the Case Management Conference scheduled for 4 November 7, 2017 is continued to January 23, 2018. Case Management statement is due by January 16, 2018. IT IS SO ORDERED. 5 10/12/17 6 Dated: __________________________ 7 ______________________________ KANDIS A. WESTMORE United States Magistrate Judge 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND PROPOSED ORDER C17-01383 KAW 3

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