Serrato et al v. Monterey County et al
Filing
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NOTICE OF SETTLEMENT - STIPULATION AND ORDER #50 to Vacate Pretrial Conference and Trial Dates: Plaintiff to File Motions to Approve the Minor Plaintiff's Settlement by 9/6/2013 or Appear for a Case Management Conference Re: Settlement on 9/20/2013 10:30 AM in Courtroom 6, 4th Floor, San Jose. Signed by Judge Ronald M. Whyte on 6/27/13. (jg, COURT STAFF) (Filed on 6/27/2013)
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MICHAEL J. HADDAD (State Bar No. 189114)
JULIA SHERWIN (State Bar No. 189268)
GINA ALTOMARE (State Bar No. 273099)
GENEVIEVE K. GUERTIN (State Bar No. 262479)
HADDAD & SHERWIN
505 Seventeenth Street
Oakland, California 94612
Telephone: (510) 452-5500
Facsimile: (510) 452-5510
Attorneys for Plaintiffs ROGELIO SERRATO, DEC.
JULIAN SERRATO AND ISRAEL SERRATO
UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
ROGELIO SERRATO, DECEASED, THROUGH
HIS SUCCESSORS IN INTEREST, JULIAN
SERRATO and ISRAEL SERRATO, minors, by
and through their grandmother and Next Friend,
LISA MAGDALENO; and JULIAN SERRATO
AND ISRAEL SERRATO, by and through their
Next Friend, LISA MAGDALENO, individually.
Plaintiffs,
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vs.
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MONTEREY COUNTY, a public entity, SHERIFF
SCOTT MILLER, individually and in his official
capacity; CAPTAIN CHARLES MONARQUE,
individually and in his official capacity;
COMMANDER KEVIN OAKLEY, individually;
SERGEANT GARRETT SANDERS, individually;
SERGEANT JOSEPH BANUELOS, individually;
SERGEANT RANDY RAGSAC, individually;
DETECTIVE AL MARTINEZ, individually;
DEPUTY MARK SIEVERS, individually, and
DOES 1-10, individually, jointly and severally.
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Defendants.
_________________________________________/
Related with:
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RITA SERRATO, et al.,
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vs.
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MONTEREY COUNTY, et al.
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(No. C-11-4106 RMW)
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No: C11-03642 RMW (PSGx)
Hon. Ronald M. Whyte
NOTICE OF SETTLEMENT,
STIPULATION TO VACATE
PRETRIAL AND TRIAL
DATES, AND ()
ORDER
Pretrial Conf.: July 11, 2013
Trial: July 22, 2013
No: C11-03642 RMW: NOTICE OF SETTLEMENT, STIPULATION TO VACATE PRETRIAL AND TRIAL DATES, AND
() ORDER
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PLEASE TAKE NOTICE, that the parties have reached a settlement agreement in these
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related matters. The parties, by and through their respective counsel of record, hereby request that
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the Court vacate the Pretrial Conference currently scheduled for July 11, 2013, the trial currently
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scheduled for July 22, 2013, and all other related pretrial deadlines in this matter. The parties
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further request that the Court allow Plaintiffs 90 days to file motions to approve the minor
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Plaintiffs’ settlements.
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Dated: June 25, 2013
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/s/ Michael J. Haddad*
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MICHAEL J. HADDAD
Attorneys for Plaintiffs ROGELIO SERRATO JR.,
DECEASED, JULIAN SERRATO and ISRAEL
SERRATO through their Next Friend,
LISA MAGDALENO
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HADDAD & SHERWIN
Dated: June 25, 2013
THE LAW OFFICES OF JOHN L. BURRIS
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/s/ Benjamin Nisenbaum*
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BENJAMIN NISENBAUM
Attorneys for Plaintiffs I.S. and D.B. through
their Guardian Ad Litem EVELYN BELTRAN
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Dated: June 25, 2013
FERGUSON, PRAET & SHERMAN
A Professional Corporation
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/s/ Peter Ferguson*
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PETER FERGUSON
Attorneys for Defendants
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* Mr. Haddad, Mr. Nisenbaum, and Mr. Ferguson provided their consent that this document be
electronically filed.
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No: C11-03642 RMW: NOTICE OF SETTLEMENT, STIPULATION TO VACATE PRETRIAL AND TRIAL DATES, AND
() ORDER
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() ORDER
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Pursuant to the stipulation of the parties and good cause appearing therefore, IT IS SO
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ORDERED. The Court hereby vacates the Pretrial Conference currently scheduled for July 11,
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2013, the trial currently scheduled for July 22, 2013, and all other related pretrial deadlines in this
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matter. Plaintiffs shall file motions to approve the minor Plaintiffs’ settlements
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DATED
_________________________________
UNITED STATES DISTRICT JUDGE
RONALD M. WHYTE
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No: C11-03642 RMW: NOTICE OF SETTLEMENT, STIPULATION TO VACATE PRETRIAL AND TRIAL DATES, AND
() ORDER
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