Steshenko v. McKay et al

Filing 680

STIPULATION AND ORDER RE 678 SHORTENING BRIEFING SCHEDULE FOR PLAINTIFF'S MOTION TO REOPEN DISCOVERY. Signed by Judge Richard Seeborg on 4/24/14. (cl, COURT STAFF) (Filed on 4/24/2014)

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1 2 3 4 5 6 7 David C. Kiernan (State Bar No. 215335) dkiernan@JonesDay.com David L. Wallach (State Bar No. 233432) dwallach@JonesDay.com Abigail Johnson (State Bar No. 294243) ajohnson@JonesDay.com JONES DAY 555 California Street, 26th Floor San Francisco, CA 94104 Telephone: 415.626.3939 Facsimile: 415.875.5700 Attorneys for Plaintiff GREGORY N. STESHENKO 8 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN JOSE DIVISION 12 13 GREGORY N. STESHENKO, Plaintiff, 14 15 16 17 18 19 20 Case No. 09-cv-05543 RS v. THOMAS MCKAY, DOROTHY NUNN, and ANNE LUCERO of the Cabrillo Community College District; CABRILLO COMMUNITY COLLEGE DISTRICT; KRISTINE SCOPAZZI, BERTHALUPE CARRILLO, and SALLY NEWELL of Watsonville Community Hospital; WATSONVILLE COMMUNITY HOSPITAL, STIPULATION AND [PROPOSED] ORDER SHORTENING BRIEFING SCHEDULE FOR PLAINTIFF’S MOTION TO REOPEN DISCOVERY Defendants. 21 22 23 WHEREAS, on April 22, 2014, Plaintiff Gregory N. Steshenko filed a motion to reopen 24 25 discovery in the above-captioned case (the “Motion”); 23, WHEREAS, trial is currently set for June 21, 2014 with a pretrial conference scheduled 26 for June 11 and a meet and confer regarding trial preparation to take place no later than May 20; 27 WHEREAS, pursuant to Local Rule 7-2, the earliest Plaintiff’s Motion could be heard is 28 May 29; Stipulation and [Proposed] Order Case No. 09-cv-05543 1 2 3 WHEREAS, the parties have agreed to a shortened briefing schedule on Plaintiff’s Motion so that it can be resolved prior to the aforementioned trial deadlines; IT IS HEREBY STIPULATED THAT Defendants will file their Opposition to Plaintiff’s 4 motion no later than April 29, 2014, and Plaintiff will file his Reply no later than May 2, 2014 5 after which the matter will be taken under submission on the papers. 6 Dated: April 22, 2014 Lynch and Shupe, LLP 7 8 By: /s/ John A. Shupe John A. Shupe 9 Counsel for Defendants THOMAS MCKAY, DOROTHY NUNN, ANNE LUCERO, CABRILLO COMMUNITY COLLEGE DISTRICT 10 11 12 13 14 Pursuant to Local Rule 5-1(i)(3), I, David L. Wallach, attest that concurrence in the filing 15 of this document has been obtained from the other signatory. 16 Dated: April 22, 2014 Jones Day 17 18 By: /s/ David L. Wallach David L. Wallach 19 Counsel for Plaintiff GREGORY N. STESHENKO 20 21 22 PURSUANT TO THE FORGOING STIPULATION, IT IS SO ORDERED. 23 24 Dated: ________________ 4/24/14 _____________________________ HONORABLE RICHARD SEEBORG United States District Court Judge 25 26 27 28 -2- Stipulation and [Proposed] Order Case No. 09-cv-05543

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