River Ranch Fresh Foods, LLC et al v. Premium Fresh Farms, LLC et al

Filing 27

ORDER on 26 Joint Case Management Statement -- Request to Continue CMC. CMC set for 2:00 pm on August 18, 2009. Signed by Judge Patricia V. Trumbull on 6/11/09. (pvtlc1) (Filed on 6/11/2009)

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1 2 3 4 5 6 7 8 9 LAW OFFICES RYNN & JANOWSKY, LLP 4100 NEWPORT PLACE DRIVE SUITE 700 NEWPORT BEACH, CALIFORNIA 92660 (949) 752-2911 FAX (949) 752-0953 MARION I. QUESENBERY, SBN 072308 R. JASON READ, SBN 117561 RYNN & JANOWSKY, LLP 4100 Newport Place Drive, Suite 700 Newport Beach, CA 92660-2423 Telephone: (949) 752-2911 Facsimile: (949) 752-0953 E-mail: marion@rjlaw.com E-mail: jason@rjlaw.com Attorneys for Plaintiffs RIVER RANCH FRESH FOODS, LLC, et al. IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION 10 11 12 13 14 15 16 17 Plaintiffs River Ranch Fresh Foods, LLC, Vessey and Company, Inc., Lancer Marketing, 18 and Field Fresh Farms, LLC and Defendants John D. Tamagni ("Tamagni") and Robert Elliott 19 ("Elliott") respectfully request that the Case Management Conference and the associated dates be 20 continued for one last time for an additional 60 days. The parties participated in a mediation 21 session before Mediator David Roe on May 28, 2009, which was very successful, as the parties 22 partially resolved the action and expect to fully resolve the matter shortly. They are, however, 23 still working out the details, but they expect to complete this process by the end of the month. 24 v. PREMIUM FRESH FARMS, LLC, et al., Defendants. RIVER RANCH FRESH FOODS, LLC, et al., Plaintiffs, CASE NO. C 08-01688 PVT ORDER ON JOINT CASE MANAGEMENT CONFERENCE STATEMENT REQUEST TO CONTINUE CMC CMC Date: June 16, 2009 CMC Time: 2:00 p.m. CMC Place: Ctrm. 5, 4th Floor San Jose CMC Statement & Request to Continue CMC, Case No. C08-01688 Page 1 1 2 3 4 5 6 7 8 9 LAW OFFICES RYNN & JANOWSKY, LLP 4100 NEWPORT PLACE DRIVE SUITE 700 NEWPORT BEACH, CALIFORNIA 92660 (949) 752-2911 FAX (949) 752-0953 I declare under penalty of perjury under the laws of the United States that the foregoing is true and correct. Date: June 9, 2009 RYNN & JANOWSKY, LLP By: /s/ Marion I. Quesenbery MARION I. QUESENBERY Attorneys for Plaintiffs Date: June 9, 2009 LAW OFFICE OF CLYDE C. PEARCE By: 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 /s/ Clyde C. Pearce CLYDE C. PEARCE Attorney for Defendants John D. Tamagni and Robert Elliott I hereby attest that today I e-mailed the above Joint Case Management Conference Statement Request to Continue CMC to Clyde C. Pearce. After he received it, he gave me permission to sign his name to this document and to e-file it with the Court. /s/ Marion I. Quesenbery MARION I. QUESENBERY CMC Statement & Request to Continue CMC, Case No. C08-01688 Page 2 1 2 3 IT IS SO ORDERED. The Case Management Conference is continued to August 18, 2009, at 2:00 p.m., in Courtroom 5, 4th Floor, San Jose. Date: June 11, 2009 4 5 6 7 8 9 LAW OFFICES RYNN & JANOWSKY, LLP 4100 NEWPORT PLACE DRIVE SUITE 700 NEWPORT BEACH, CALIFORNIA 92660 (949) 752-2911 FAX (949) 752-0953 ____________________________________ U.S. MAGISTRATE JUDGE 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 CMC Statement & Request to Continue CMC, Case No. C08-01688 Page 3

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