Christina Geheran et al v. Golden Gate National Recreation Area
Filing
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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)
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
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Oakland, CA 94612
Telephone: (510) 637-3701
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FAX: (510) 637-3724
David.Pereda@usdoj.gov
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7 Attorneys for Defendant
United States
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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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CHRISTINA GEHERAN and CHRISTOPHER )
GEHERAN,
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Plaintiff,
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v.
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GOLDEN GATE NATIONAL RECREATION )
AREA, a public entity, and DOES 1-25,
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Defendant.
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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
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28 STIPULATION AND PROPOSED ORDER
C17-01383 KAW
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Pursuant to Civil L.R. 7-12, the parties, through their counsel, hereby stipulate as follows:
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1.
On August 1, 2017, the Court referred this case to a Magistrate Judge for a Settlement
3 Conference. ECF No. 21.
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2.
Two weeks later, a Settlement Conference with the Hon. Nandor J. Vandas was set for
5 October 17, 2017. ECF No. 24.
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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.
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The parties have lodged timely settlement conference statements.
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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.
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14 DATED: October 11, 2017
Respectfully submitted,
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BRIAN J. STRETCH
United States Attorney
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/s/ David Pereda
DAVID PEREDA
Assistant United States Attorney
Attorney for Defendant
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WALKER, HAMILTON, KOENIG &
BURBIDGE, LLP
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/s/ Beau R. Burbidge*
BEAU R. BURBIDGE
Attorney for Plaintiff
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*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.
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28 STIPULATION AND PROPOSED ORDER
C17-01383 KAW
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[PROPOSED] ORDER AS MODIFIED
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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
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November 7, 2017 is continued to January 23, 2018. Case Management statement is due by January 16, 2018.
IT IS SO ORDERED.
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10/12/17
6 Dated: __________________________
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______________________________
KANDIS A. WESTMORE
United States Magistrate Judge
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28 STIPULATION AND PROPOSED ORDER
C17-01383 KAW
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