St. Paul Mercury Insurance Company v. American Safety Indemnity Company et al
Filing
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Order by Hon. Lucy H. Koh granting 53 Stipulation Extending Time for Defendant Century Surety Company to Respond to the Complaint.(lhklc3, COURT STAFF) (Filed on 2/20/2013)
1 LISA DARLING-ALDERTON - State Bar No. 221738
lalderton@woollspeer.com
2 WOOLLS & PEER
A Professional Corporation
3 One Wilshire Boulevard, 22nd Floor
Los Angeles, California 90017
4 Telephone: (213) 629-1600
5
Facsimile: (213) 629-1660
Attorneys for Defendant
6 CENTURY SURETY COMPANY
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8
9
UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA – SAN JOSE DIVISION
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12 ST. PAUL MERCURY INSURANCE
Case No.: cv 12-5952LHK HRL
A Professional Corporation
One Wilshire Boulevard, 22nd Floor
Los Angeles, California 90017
WOOLLS & PEER
COMPANY,
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Plaintiff,
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THIRD STIPULATION
EXTENDING TIME FOR
DEFENDANT CENTURY SURETY
COMPANY TO RESPOND TO THE
COMPLAINT
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Filing Date:
Trial Date:
14
v.
AMERICAN SAFETY INDEMNITY
16 COMPANY, et al.,
Defendants.
17
19
November 21, 2012
N/A
Pursuant to Local Rule 6-1, Plaintiff, St. Paul Mercury Insurance Company,
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21 stipulates to a third extension of one week for Defendant, Century Surety Company to
22 respond to the complaint, to allow the party’s further time to discuss informal
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resolution. Century Surety Company was served with the complaint in this matter on
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25 December 12, 2012. On January 2, 2013, this court granted a 28-day extension of
26 time, until January 31, 2013, for Century Surety to respond to the Complaint. On
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January 31, 2013, the parties jointly requested a second two-week extension, through
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1
[CASE NO.: CV 12-5952LHK HRL]
THIRD STIPULATION FOR EXTENSION OF TIME FOR CENTURY SURETY COMPANY TO RESPOND TO THE COMPLAINT
325503.2
1 February 14, 2013. The parties expect to have this matter resolved shortly and request
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7 more days to allow this to be finalized. Century Surety’s response would now be
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4 due on or before February 21, 2013. This extension of time will not impact any dates
5 scheduled for the case. The first case management conference in this case is set for
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February 27, 2013.
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IT IS SO STIPULATED.
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9
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DATED: February 14, 2013
THE AGUILERA LAW GROUP, APLC
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_______________________________
A. ERIC AGUILERA
ADAM WRIGHT
Attorneys for Plaintiff
ST. PAUL MERCURY INSURANCE
COMPANY
A Professional Corporation
One Wilshire Boulevard, 22nd Floor
Los Angeles, California 90017
WOOLLS & PEER
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16 DATED: February 14, 2013
WOOLLS & PEER
A Professional Corporation
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________/s/________________________
LISA DARLING-ALDERTON
Attorneys for Defendant
CENTURY SURETY COMPANY
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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23 DATED:
By:
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2
[CASE NO.: CV 12-5952LHK HRL]
THIRD STIPULATION FOR EXTENSION OF TIME FOR CENTURY SURETY COMPANY TO RESPOND TO THE COMPLAINT
325503.2
February 20, 2013
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