Stansberry v. United States of America
Filing
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STIPULATION AND ORDER AS MODIFIED re 13 . STIPULATION WITH PROPOSED ORDER Re Responsive Pleading and Case Management Conference filed by Randy Stansberry, United States of America. Case Management Statement due by 7/31/2018. Initial Case Management Conference set for 8/7/2018 01:30 PM in Oakland, Courtroom 4, 3rd Floor. Signed by Magistrate Judge Kandis A. Westmore on 6/6/18. (sisS, COURT STAFF) (Filed on 6/6/2018)
1 ALEX G. TSE (CABN 152348)
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 Federal Defendants
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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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RANDY STANSBERRY,
Plaintiff,
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v.
UNITED STATES OF AMERICA,
Defendant.
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Case No.: C18-01563 KAW
STIPULATION CONTINUING CASE
MANAGEMENT CONFERENCE; [PROPOSED]
ORDER AS MODIFIED
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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 March 12, 2018, Randy Stansberry filed this action. See ECF 1.
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2.
On April 2, 2018, Ms. Stansberry completed service of the summons and complaint.
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3.
The parties have been meeting and conferring in good faith on whether there is
26 jurisdiction over this action. In doing so, the parties aim to resolve this issue without resorting to motion
27 practice or to at least narrow the issues if a motion is needed.
28 STIPULATION
C18-01563 KAW
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4.
The parties agree to continue the government’s deadline to respond to the complaint from
2 June 1, 2018, to June 29, 2018. If the government files a motion to dismiss as its responsive pleading,
3 the parties will agree to a mutually-convenient briefing schedule.
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5.
The parties agree to continue the Initial Case Management Conference from June 11,
5 2018, to August 7, 2018.
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IT IS SO STIPULATED.
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9 DATED: June 4, 2018
Respectfully submitted,
ALEX G. TSE
Acting United States Attorney
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/s/ David Pereda
DAVID PEREDA
Assistant United States Attorney
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Attorneys for Defendant
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15 DATED: June 4, 2018
PERKINS & ASSOCIATES
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*/s/ Natalia Asbill
NATALIA D. ASBILL
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Attorneys for Plaintiff
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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Dated: 6/6/18
KANDIS A. WESTMORE
UNITED STATES MAGISTRATE JUDGE
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24 *In compliance with Civil Local Rule 5-1(i)(3), the filer of this document attests under penalty of perjury
25 that each signatory has concurred in the filing of this document.
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28 STIPULATION
C18-01563 KAW
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