Ibarra v. City of Watsonville et al
Filing
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Order as Modified by the Court Granting 14 Stipulation to Continue Initial Case Management Conference and Related Dates. Signed by Hon. Edward J. Davila on 9/25/2012.(ecg, COURT STAFF) (Filed on 9/25/2012)
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Suzanne Solomon, Bar No. 169005
ssolomon@lcwlegal.com
LIEBERT CASSIDY WHITMORE
A Professional Law Corporation
153 Townsend Street, Suite 520
San Francisco, CA 94107
Telephone:
(415) 512-3000
Facsimile:
(415) 856-0306
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ERED
O ORD D
IT IS S
IFIE
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J u d ge E
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A Professional Law Corporation
153 Townsend Street, Suite 520
San Francisco, CA 94107
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S DISTRICT
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TA
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LIEBERT CASSIDY WHITMORE
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Attorneys for Plaintiff FRANCISCO IBARRA
UNIT
ED
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Aaron Lodge, Bar No. 220670
alodge@teachjustice.com
1414 Soquel Avenue, Suite 222
Santa Cruz, CA 95062
Telephone: (831) 426-3030
Facsimile: (831) 350-6030
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Attorneys for Defendant
CITY OF WATSONVILLE
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Kate Wells, Bar No. 107051
lioness@got.net
3393 Maplethorpe Avenue
Soquel, CA 95073
Telephone: (831) 479-4475
Facsimile: (831) 479-4476
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9/25/2012
UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
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SAN JOSE DIVISION – ECF PROGRAM
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FRANCISCO IBARRA,
Case No. 5:12-cv-02271-EJD
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Plaintiff,
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v.
STIPULATION TO CONTINUE INITIAL
CASE MANAGEMENT CONFERENCE AND
RELATED DATES
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CITY OF WATSONVILLE; CARLOS
PALACIOS, individually and as City
Manager; MANNY SOLANO, individually
and as Asst. Chief and/or Chief of Police;
TERENCE MEDINA, individually and as
former Chief of Police; BELCHER, EHLE,
MEDINA and ASSOCIATES; TWENTY
UNKNOWN CITY AND OTHER
EMPLOYEES,
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Defendants.
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-1STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE AND RELATED DATES
5:12-cv-02271-EJD
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WHEREAS, Defendant City of Watsonville’s first notice of this action was when it was
served with Plaintiff’s First Amended Complaint on September 4, 2012; and
WHEREAS, the Court has approved the parties’ stipulation that all defendants have until
October 26, 2012 to respond to the First Amended Complaint; and
WHEREAS, the Initial Case Management Conference is scheduled for September 28,
2012; and
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WHEREAS, the current deadline to file a Rule 26(f) report, complete initial
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disclosures and file a Case Management Conference statement is September 21, 2012; and
A Professional Law Corporation
153 Townsend Street, Suite 520
San Francisco, CA 94107
WHEREAS, the current Case Management Conference date and resulting deadlines
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LIEBERT CASSIDY WHITMORE
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flowing from that schedule would have the effect of requiring the parties to meet and confer
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before the Defendants have responded to the Complaint;
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IT IS HEREBY STIPULATED, pursuant to Local Rule 6-2 and the accompanying
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Declaration of Suzanne Solomon, between Plaintiff Francisco Ibarra and Defendant City of
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Watsonville, that the initial Case Management Conference be continued to February 22, 2013,
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and that the dates flowing from that conference be continued as follows:
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2/1/2013
discovery plan
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2/15/2013
Deadline to file Rule 26(f) report, complete initial
disclosures and file Case Management Conference statement.
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Deadline to meet and confer re initial disclosures, ADR and
IT IS SO STIPULATED.
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Dated: September 21, 2012
AARON LODGE
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/S/
By: ___________________________
Aaron Lodge
Attorney for Plaintiff FRANCISCO IBARRA
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-2STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE AND RELATED DATES
5:12-cv-02271-EJD
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Dated: September 21, 2012
LIEBERT CASSIDY WHITMORE
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/S/
By: ___________________________
Suzanne Solomon
Attorneys for Defendant
CITY OF WATSONVILLE
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A Professional Law Corporation
153 Townsend Street, Suite 520
San Francisco, CA 94107
LIEBERT CASSIDY WHITMORE
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PURSUANT TO STIPULATION, IT IS SO ORDERED, THAT:
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December 22, 2013;
The Initial Case Management Conference is continued to February14, 2012 at 10:00 AM
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Parties must meet and confer re initial disclosures, ADR and discovery plan by
December1, 2013; and
February 1, 2012
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Parties must file a Rule 26(f) report, complete initial disclosures and file Case
December 7, 2012.
Management Conference statements on or before February 15, 2013.
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September 25, 2012
Dated: ________________
__________________________
Edward J. Davila
United States District Judge
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205557.1 WA100-018
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-3STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE AND RELATED DATES
5:12-cv-02271-EJD
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