Johnson-v-CFS II, Inc

Filing 58

Order by Hon. Lucy H. Koh granting 57 Stipulation Re Settlement Negotiations.(lhklc3, COURT STAFF) (Filed on 4/23/2013)

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1 2 3 4 5 6 Fred W. Schwinn (SBN 225575) Raeon R. Roulston (SBN 255622) CONSUMER LAW CENTER, INC. 12 South First Street, Suite 1014 San Jose, California 95113-2418 Telephone Number: (408) 294-6100 Facsimile Number: (408) 294-6190 Email Address: fred.schwinn@sjconsumerlaw.com Attorneys for Plaintiff BRUCE ALBERT JOHNSON 7 UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION 8 9 10 BRUCE ALBERT JOHNSON, 11 v. 12 13 CFS II, INC., an Oklahoma corporation, 14 Whereas, Plaintiff, BRUCE ALBERT JOHNSON, filed the above captioned matter against 16 Defendant, CFS II, INC., on March 5, 2012; and Whereas, the parties wish to engage in frank and open settlement negotiations in this case 18 19 without the concern that their settlement efforts will be used for any purpose in this or any other case. 20 21 22 23 STIPULATION REGARDING SETTLEMENT NEGOTIATIONS AND [PROPOSED] ORDER THEREON Defendant. 15 17 Plaintiff, Case No. 5:12-CV-01091-LHK-PSG Wherefore, it is hereby stipulated by and between the parties through their respective attorneys of record that all communications (i.e., telephone calls, letters, e-mails, etc.) regarding settlement negotiations in this case shall be privileged and confidential, and shall not be used for any purpose 24 whatsoever. It is the intent of the parties that their settlement negotiations will be treated with the same 25 confidentiality as afforded mediations under Northern District of California ADR L.R. 6-12. 26 /// 27 28 /// -1STIPULATION REGARDING SETTLEMENT NEGOTIATIONS AND OTHER THEREON Case No. 5:12-CV-01091-LHK-PSG 1 CONSUMER LAW CENTER, INC. 2 3 Dated: April 22, 2013 4 5 6 7 8 By: /s/ Fred W. Schwinn Fred W. Schwinn (SBN 225575) CONSUMER LAW CENTER, INC. 12 South First Street, Suite 1014 San Jose, California 95113-2418 Telephone Number: (408) 294-6100 Facsimile Number: (408) 294-6190 Email Address: fred.schwinn@sjconsumerlaw.com Attorney for Plaintiff BRUCE ALBERT JOHNSON 9 10 11 CHANDLER, POTTER & ASSOCIATES 12 13 14 15 16 17 18 19 20 Dated: April 22, 2013 By: /s/ Robert C. Chandler Robert C. Chandler (SBN 138266) CHANDLER, POTTER & ASSOCIATES 3800 Orange Street, Suite 270 Riverside, California 92501 Telephone Number: (951) 276-3022 Facsimile Number: (951) 782-0230 Email Address: rchandler@chandlerpotter-law.com Attorney for Defendant CFS II, INC. 21 22 23 24 25 26 27 28 -2STIPULATION REGARDING SETTLEMENT NEGOTIATIONS AND OTHER THEREON Case No. 5:12-CV-01091-LHK-PSG ORDER 1 2 3 4 5 Based upon the foregoing stipulation and good cause appearing, IT HEREBY ORDERED, that all communications (i.e., telephone calls, letters, e-mails, etc.) regarding settlement negotiations in this case shall be privileged and confidential, and shall not be used 6 for any purpose whatsoever. The settlement negotiations of the parties shall be treated with the same 7 confidentiality as afforded meditations under Northern District of California ADR L.R. 6-12. 8 9 10 11 Dated: April 23, 2013 The Honorable Lucy H. Koh United States District Judge 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -3STIPULATION REGARDING SETTLEMENT NEGOTIATIONS AND OTHER THEREON Case No. 5:12-CV-01091-LHK-PSG

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