Hovsepian v. Apple, Inc.

Filing 402

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Hovsepian v. Apple, Inc. Doc. 402 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 THOMAS E. FRANKOVICH (State Bar #074414) JENNIFER L. STENEBERG (State Bar #202985) THOMAS E. FRANKOVICH A PROFESSIONAL LAW CORPORATION 2806 Van Ness Avenue San Francisco, CA 94109 Telephone: 415/674-8600 Facsimile: 415/674-9900 Attorneys for Plaintiffs NICOLE MOSS and DISABILITY RIGHTS, ENFORCEMENT, EDUCATION, SERVICES: HELPING YOU HELP OTHERS UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA NICOLE MOSS, an individual; and DISABILITY RIGHTS, ENFORCEMENT, ) ) EDUCATION, SERVICES:HELPING YOU HELP OTHERS, a California public ) ) benefit corporation, ) ) Pl ai nt i ffs, ) ) v. ) ) CALLAHAN'S; GERRARD JONES ) GERRARD, ) ) Defendant. __________________________________ ) CASE NO. C05-1372 PVT STIPULATION EXTENDING TIME FOR DEFENDANT TO RESPOND TO COMPLAINT Plaintiffs NICOLE MOSS, an individual; and DISABILITY RIGHTS, ENFORCEMENT, EDUCATION, SERVICES:HELPING YOU HELP OTHERS, a California public benefit corporation, through their undersigned counsel, and defendant GERRARD JONES GERRARD stipulate as follows: 1. Defendant is granted an extension of time to and including June 25, 2005 to answer or otherwise respond to plaintiffs' complaint. /// /// STIPULATION EXTENDING TIME FOR DEFENDANT GERRARD JONES GERRARD TO RESPOND TO COMPLAINT Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2. In the event defendant files a motion in lieu of an answer to plaintiffs' complaint, the hearing on such motion shall be set on a date no sooner than 45 days from the filing of said motion. 3. Defendant further stipulates that defendant will comply with any and all due dates dictated by the Federal Rules of Civil Procedure, the Local Rules of Court, and/or any scheduling order issued by the court prior to the date on which defendant's responsive pleading is due hereunder. This Stipulation may be executed in faxed counterparts, all of which together shall constitute one original document. IT IS SO STIPULATED. DATED: June 3, 2005 THOMAS E. FRANKOVICH, A PROFESSIONAL LAW CORPORATION By: /s/ Jennifer L. Steneberg Attorneys for Plaintiffs NICOLE MOSSand DISABILITY RIGHTS ENFORCEMENT, EDUCATION SERVICES: HELPING YOU HELP OTHERS DATED: June 1, 2005 PRO PER By: /s/ Gerrard Jones Gerrard, Defendant STIPULATION EXTENDING TIME FOR DEFENDANT GERRARD JONES GERRARD TO RESPOND TO COMPLAINT 2

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