Campbell et al v. Hunter Engineering Company
Filing
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Order by Hon. Lucy H. Koh granting 27 Stipulation.(lhklc2, COURT STAFF) (Filed on 3/22/2013)
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ROBERT E. DAVIES, ESQ. / SBN 106810
E-Mail: rdavies@donahuedavies.com
MARY A. STEWART, ESQ. / SBN 106758
E-Mail: mstewart@donahuedavies.com
GREGORY A. NELSON, ESQ. / SBN 274926
E-Mail: gnelson@donahuedavies.com
DONAHUE • DAVIES LLP
P.O. BOX 277010
Sacramento, CA 95827
Telephone: (916) 817-2900
Facsimile: (916) 817-2644
STEVEN E. GARLOCK, ESQ. / Pro Hac Vice
E-Mail: sgarlock@thompsoncoburn.com
THOMPSON COBURN LLP
One US Bank Plaza
St. Louis, Missouri 63101
Telephone: (314) 552-6000
Facsimile: (314) 552-7000
Attorneys for Defendant,
HUNTER ENGINEERING COMPANY
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION
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-o0o15
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TYRONE CAMPBELL and KIM
CAMPBELL,
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Case No. CV12-03777
STIPULATION FOR ORDER EXTENDING
DATE FOR COMPLETION OF PRIVATE
MEDIATION; AND
Plaintiffs,
v.
[PROPOSED] ORDER ON STIPULATION
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HUNTER ENGINEERING COMPANY, and
DOES 1 to 40,
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Defendants.
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Defendant
HUNTER
ENGINEERING
COMPANY
and
Plaintiffs
TYRONE
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CAMPBELL and KIM CAMPBELL hereby stipulate by and through their counsel of record
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as follows:
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That the Court issue an order extending the date for the parties’ completion of
private mediation from May 10, 2013 to and including May 30, 2013.
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STIPULATION FOR ORDER EXTENDING DATE FOR COMPLETION OF PRIVATE MEDIATION; AND
[PROPOSED] ORDER ON STIPULATION
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The parties have agreed to mediation with Jack Williams, Williams & Williams
Mediation, 110 North Third Street, San Jose, California, and have scheduled mediation for
May 23, 2013.
In order to conduct a meaningful mediation, Defendant Hunter Engineering
Company needs to complete an Independent Medical/Mental Examination of Plaintiff Tyron
Campbell. The parties are stipulating to an examination of Plaintiff on May 6, 2013 at 8:30
a.m. by Alan D. Shonkoff, Ph.D., a Licensed Psychologist who is Board Certified in Clinical
Neuropsychology, at Dr. Shonkoff’s office located 2340 Ward Street, Suite 102, Berkeley,
California. Despite having contacted Dr. Shonkoff in early January of 2013 to schedule this
examination, Dr. Shonkoff has no earlier available dates on which to conduct this
examination.
IT IS SO STIPULATED.
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Dated: March __, 2013.
DONAHUE • DAVIES LLP
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By: ____________________________
Robert E. Davies, Esq.
Mary A. Stewart, Esq.
Gregory A. Nelson, Esq.
Attorneys for Defendant,
HUNTER ENGINEERING COMPANY
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Dated: March __, 2013.
JANOFF LAW GROUP
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By: ____________________________
Jeffrey D. Janoff, Esq.,
Attorneys for Plaintiffs,
TYRONE CAMPBELL and
KIM CAMPBELL
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STIPULATION FOR ORDER EXTENDING DATE FOR COMPLETION OF PRIVATE MEDIATION; AND
[PROPOSED] ORDER ON STIPULATION
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[PROPOSED] ORDER ON STIPULATION
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PURSUANT TO STIPUATION, IT IS SO ORDERED.
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Dated: March __, 2013.
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__________________________________
LUCY H. KOH
United States District Judge
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STIPULATION FOR ORDER EXTENDING DATE FOR COMPLETION OF PRIVATE MEDIATION; AND
[PROPOSED] ORDER ON STIPULATION
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