Mora et al v. Jerry Garcia Estate, LLC et al

Filing 32

STIPULATION AND ORDER EXTENDING TIME FOR DEFENDANT DEBORAH KOONS GARCIA TO RESPOND TO FIRST AMENDED COMPLAINT re 31 Stipulation filed by Deborah Koons-Garcia. Signed by Judge Patricia V. Trumbull on July 21, 2010. (pvtlc2, COURT STAFF) (Filed on 7/21/2010)

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Mora et al v. Jerry Garcia Estate, LLC et al Doc. 32 1 JONATHAN R. BASS (State Bar No. 75779) COBLENTZ, PATCH, DUFFY & BASS LLP 2 One Ferry Building, Suite 200 San Francisco, California 94111-4213 3 Telephone: 415.391.4800 Facsimile: 415.989.1663 4 Email: ef-jrb@cpdb.com 5 Attorneys for Defendant Deborah Koons Garcia 6 94111-4213 7 8 9 10 11 SUSAN MORA, as Trustee of The Merl Saunders Trust; MERL SAUNDERS, JR., as 12 Trustee of The Merl Saunders Trust; and TONY SAUNDERS, as Trustee of The Merl Saunders 13 Trust, 14 15 v. Plaintiffs, Case No. CV 08 5772 PVT STIPULATION EXTENDING TIME FOR DEFENDANT DEBORAH KOONS GARCIA TO RESPOND TO FIRST AMENDED COMPLAINT (N.D. CAL. CIV. L.R. 6-1(a)) UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA COBLENTZ, PATCH, DUFFY & BASS LLP ONE FERRY BUILDING, SUITE 200, SAN FRANCISCO, CALIFORNIA 415.391.4800 FAX 415.989.1663 16 JERRY GARCIA ESTATE LLC, a California limited liability company, JERRY GARCIA 17 FAMILY LLC, a California limited liability company, RHINO ENTERTAINMENT 18 COMPANY, a Delaware corporation; WARNER MUSIC GROUP CORP., a Delaware corporation; 19 WARNER STRATEGIC MARKETING, INC., a Delaware corporation; DEBORAH KOONS20 GARCIA (sued as DOE 1), an individual; DEBORAH KOONS-GARCIA (sued as DOE 2) 21 and DAVID HELLMAN (sued as DOE 3), and DOES 5 through 10, as Trustees of the KEELIN 22 GARCIA TESTAMENTARY TRUST (sued as DOE 4); and DOES 11 through 1000, inclusive, 23 Defendants. 24 25 26 27 28 12585.009.1491044v1 1 Case No. CV 08 5773 PVT STIPULATION EXTENDING TIME TO RESPOND TO FIRST AMENDED COMPLAINT Dockets.Justia.com 1 2 3 4 STIPULATION EXTENDING TIME FOR DEFENDANT DEBORAH KOONS GARCIA TO RESPOND TO FIRST AMENDED COMPLAINT (N.D. CAL. CIV. L.R. 6-1(a)) Pursuant to Civil Local Rule 6.1(a), IT IS HEREBY STIPULATED AND AGREED by 5 Plaintiffs and Defendant Deborah Koons Garcia, by and through their undersigned counsel, that 6 Deborah Koons Garcia's time to respond to Plaintiffs' First Amended Complaint (filed on June 26, 94111-4213 7 2009 [Docket No. 11]) is hereby extended up to and including August 9, 2010. 8 IT IS SO STIPULATED. COBLENTZ, PATCH, DUFFY & BASS LLP 9 DATED: July 8, 2010 10 11 12 13 14 DATED: July ___, 2010 9 15 16 17 18 19 IT IS SO ORDERED: 20 21 Dated: July _20_, 2010 _ 22 23 24 25 26 27 28 12585.009.1491044v1 COBLENTZ, PATCH, DUFFY & BASS LLP ONE FERRY BUILDING, SUITE 200, SAN FRANCISCO, CALIFORNIA 415.391.4800 FAX 415.989.1663 By: /S / Jonathan R. Bass Attorneys for Defendant Deborah Koons Garcia IDELL AND SEITEL, LLP By: /S / Richard J. Idell Attorneys for Plaintiffs United States District Judge 1 Case No. CV 08 5773 PVT STIPULATION EXTENDING TIME TO RESPOND TO FIRST AMENDED COMPLAINT

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