Christina Geheran et al v. Golden Gate National Recreation Area

Filing 34

STIPULATION AND ORDER AS MODIFIED re 32 . STIPULATION WITH PROPOSED ORDER re settlement conference filed by Christina Geheran, Christopher Geheran, United States. Deadline continued to 04/30/18. Signed by Magistrate Judge Kandis A. Westmore on 12/11/17. (sisS, COURT STAFF) (Filed on 12/11/2017)

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Beau R. Burbidge (SBN 267267) 1 Walter H. Walker, III (SBN 63117) WALKER, HAMILTON, KOENIG & BURBIDGE, LLP 2 50 Francisco Street, Suite 460 San Francisco, CA 94133-2117 3 Telephone: (415) 986-3339 Facsimile: (415) 986-1618 4 David M. Zeff (SBN 63289) 5 Law Office of David M. Zeff 6 1100 Larkspur Landing Circle, Suite 200 Larkspur, CA 94939 7 Telephone: (415) 923-1380 Facsimile: (415) 923-1382 8 9 Attorneys for Plaintiffs 10 11 UNITED STATES DISTRICT COURT 12 NORTHERN DISTRICT OF CALIFORNIA 13 14 CHRISTINA GEHERAN and CHRISTOPHER GEHERAN, individually, Case No. 3:17-cv-01383-KAW 15 Plaintiffs, STIPULATION AND PROPOSED ORDER RE SETTLEMENT CONFERENCE AS MODIFIED 16 17 18 v. GOLDEN GATE NATIONAL RECREATION AREA, a public entity, and DOES 1-25, 19 Defendants. 20 21 Pursuant to Civil L.R. 7-12, the parties, through their counsel, hereby stipulate as follows: 22 1. On October 12, 2017, the Court granted the parties’ previous stipulation to continue 23 the settlement conference in his matter, which was necessitated because new counsel had been 24 assigned to handle the case for the defense. 25 2. Per the Court’s order, the settlement conference was to be completed by January 26 10, 2018. 27 3. Also per the Court’s order, a settlement scheduling conference was held before 28 Judge Robert M. Illman on November 7, 2017. Judge Illman had no availability for a settlement 1 STIPULATION AND PROPOSED ORDER RE SETTLEMENT CONFERENCE 1 conference in January and therefore one was scheduled for February 23, 2018. 2 4. Due to a previously unknown unavailability, plaintiffs will be unable to attend the 3 February 23, 2018, settlement conference as scheduled. They have thus sought to reschedule the 4 settlement conference, but cannot do so without leave of this Court because of the January 10, 5 2018, settlement conference completion date. 6 5. The parties therefore request that this Court continue the settlement conference 7 completion date in this matter to April 30, 2018, so that the parties may reschedule the settlement 8 conference, taking into consideration Judge Illman’s limited availability in San Francisco. 9 10 DATED: December 5, 2017 Respectfully submitted, 11 WALKER, HAMILTON, KOENIG & BURBIDGE, LLP 12 /s/ Beau R. Burbidge BEAU R. BURBIDGE Attorney for Plaintiff 13 14 15 BRIAN J. STRETCH United States Attorney 16 /s/ David Pereda DAVID PEREDA Assistant United States Attorney Attorney for Defendant 17 18 19 20 21 22 23 24 25 26 27 28 2 STIPULATION AND PROPOSED ORDER RE SETTLEMENT CONFERENCE [PROPOSED] ORDER AS MODIFIED 1 2 3 The deadline to complete the Settlement Conference is continued to April 30, 2018. 4 IT IS SO ORDERED. 5 6 12/11/17 Dated: __________________________ ______________________________ KANDIS A. WESTMORE United States Magistrate Judge 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION AND PROPOSED ORDER RE SETTLEMENT CONFERENCE

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