Ortiz v. Lin R. Rogers Electrical Contractors, Inc

Filing 22

Order by Hon. Lucy H. Koh granting 21 Stipulation, as modified.(lhklc1, COURT STAFF) (Filed on 2/29/2012)

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Case5:11-cv-04750-LHK Document21 Filed02/22/12 Page1 of 3 1 2 3 4 John P. Boggs (State Bar No. 172578) Jennifer M. Schermerhorn (State Bar No. 225070) FINE, BOGGS & PERKINS, LLP 80 Stone Pine Road, Suite 210 Half Moon Bay, California 94019 Telephone: (650) 712-8908 Fax: (650) 712-1712 5 6 7 8 9 10 11 Attorneys for Defendant LIN R. ROGERS ELECTRICAL CONTRACTORS, INC. Michael Tracy (State Bar No. 237779) Michael Velarde (State bar No. 266272) LAW OFFICES OF MICHAEL TRACY 2030 Main Street, Suite 200 Irvine, California 92614 Telephone: (949) 260-9171 Fax: (949) 365-3051 12 13 Attorney for Plaintiff VICTOR ORTIZ 14 15 UNITED STATES DISTRICT COURT 16 IN AND FOR THE NORTHERN DISTRICT OF CALIFORNIA 17 18 USDC Case No. CV11-04750 VICTOR ORTIZ, 19 JOINT STIPULATION AND [PROPOSED] ORDER Plaintiff, 20 v. 21 22 23 LIN R. ROGERS ELECTRICAL CONTRACTORS, INC. Defendant. 24 25 26 27 28 STIPULATION EXTENDING DATES FOR CASE MANAGEMENT CONFERENCE AND HEARING ON PLAINTIFF’S MOTION TO DISMISS COUNTERCLAIMS Pursuant to Civil Local Rules 6-2(a) and 7-12, the parties to the above-styled action, by 1 Stipulation– Case No. CV11-04750 Case5:11-cv-04750-LHK Document21 Filed02/22/12 Page2 of 3 1 and through their undersigned counsel, hereby stipulate as follows: 2 3 1.) 29, 2011; 4 5 2.) 3.) 4.) 12 13 5.) 16 17 adequate time to seek and obtain counsel, then bring counsel up to speed on the issues currently before the Court. 6.) time to seek and obtain counsel, then bring counsel up to speed on the issues currently before the Court. 7.) 22 23 24 25 26 27 28 The parties previously stipulated to extend the time for Defendant to respond to Plaintiff’s Complaint from October 17, 2011 until November 7, 2011; 20 21 The parties have stipulated to a four-week extension to the deadline for filing initial disclosures required under Fed. Rules Civ. Proc. Section 26, to allow Defendant adequate 18 19 The parties have stipulated to a four-week extension to the Case Management Conference and Hearing on Plaintiff’s Motion to Dismiss Counterclaims, to allow Defendant 14 15 Defendant and its counsel have agreed that counsel will withdraw and Defendant will obtain new counsel. 10 11 The deadline for the parties’ initial disclosures under Fed. Rules Civ. Proc. Section 26 is currently March 1, 2012; 8 9 The parties are currently scheduled to hold both a Case Management Conference and a Hearing on Plaintiff’s Motion to Dismiss Counterclaims on March 8, 2012; 6 7 Plaintiff’s Motion to Dismiss Defendant’s Counterclaims was filed on November 8.) The parties previously stipulated to extend the time for Defendant to answer or otherwise respond to Plaintiff’s Motion to Dismiss Defendant’s Counterclaims to December 27, 2011. 9.) The parties previously stipulated to extend the time for Plaintiff’s Reply to Defendant’s Response to January 10, 2012. 10.) Pursuant to Civil Local Rule 6.1(b), no court order is required to effect this Stipulated Extension. THEREFORE, the parties stipulate to the following: 1.) The parties’ Case Management Conference and Hearing on Plaintiff’s Motion to 2 Stipulation– Case No. CV11-04750 Case5:11-cv-04750-LHK Document21 Filed02/22/12 Page3 of 3 1 Dismiss Counterclaims are extended to April 6, 2012. 2 3 2.) The deadline for the parties’ initial disclosures due under Fed. Rules Civ. Proc. Section 26 is extended to March 29, 2012. 4 5 SO STIPULATED, this 22nd day of February 2011. 6 /s/Jennifer M. Schermerhorn Jennifer M. Schermerhorn FINE, BOGGS & PERKINS LLP 7 8 9 Attorney for Defendant LIN R. ROGERS ELECTRICAL CONTRACTORS, INC. 10 11 / s/Michael Velarde Michael Velarde Michael Tracy LAW OFFICES OF MICHAEL TRACY 12 13 14 Attorney for Plaintiff VICTOR ORTIZ 15 16 17 ORDER 18 19 PURSUANT TO STIPULATION, IT IS SO ORDERED: 1.) 20 21 April 19, 2012, at 1:30 p.m. Dismiss Counterclaims is hereby moved to April 6, 2012. April 18, 2012, at 2:00 p.m. 22 23 The parties’ Case Management Conference and Hearing on Plaintiff’s Motion to 2.) The deadline for the parties’ initial disclosures under Fed. Rules Civ. Proc. Section 26 is hereby extended to March 29, 2012. extended accordingly. 24 25 February 29, 2012 ___________________ Date RT H ER ucy H. Ko h FO NO Judge L R NIA ERED O ORD IT IS S D ODIFIE AS M LI UNIT ED 28 S DISTRICT TE C TA ___________________________________ Honorable Lucy H. Koh Judge of United States District Court RT U O S 27 A 26 N F D IS T IC T O R C 3 Stipulation– Case No. CV11-04750

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