United States of America for the use of San Benito Supply v. KISAQ-RQ 8A 2 JV et al

Filing 26

STIPULATION AND ORDER for Extension of the Deadline for Conducting Mediation. Mediation shall be completed by 9/14/13. Signed by Magistrate Judge Howard R. Lloyd on July 8, 2013. (hrllc1, COURT STAFF) (Filed on 7/9/2013)

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*E-FILED: July 9, 2013* 1 3 CASE, IBRAHIM & CLAUSS, LLP 2855 Michelle Drive, Suite 120 Irvine, California 92606 Telephone: 714.540.3636 Facsimile: 714.540.3680 4 By: 2 Brian S. Case, Esq. (State BarNo. 115491) F. Albert Ibrahim, Esq. (State Bar No. 134065) 5 6 Attorneys for Defendants and Counterclaim Plaintiff 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA- SAN JOSE DIVISION 10 11 24 ) Case No.: CV13-0469 ) ) Plaintiff, ) STIPULATION FOR EXTENSION OF ) THE DEADLINE FOR CONDUCTING v. ) MEDIATION, AND ORDER THEREON ) ) ADR Local Rule 6-5 KISAQ-RQ 8A 2 JV, a joint venture; FRAZIER MASONRY COMPANY, a California corporation;) FEDERAL INSURANCE COMPANY, an Indiana ) corporation, WESTERN SURETY COMPANY, a ) South Dakota corporation, ) ) Defendants. ) ) ) FRAZIERMASONRYCOMPANY,aCalifornia ) corporation, ) ) Counterclaim Plaintiff, ) ) v. ) ) SAN BENITO SUPPLY, a California corporation ) ) Counterclaim Defendant. ) ) 25 Ill 26 Ill 27 Ill 28 Ill 12 13 14 15 16 17 18 19 20 21 22 23 Unites States of America, For the Use of SAN BENITO SUPPLY, a California corporation, --sTIPtJCAIIOI11rFOR-EXTENSIOWOFI'V1EDI.AIION-DEA.DCINE-[PROPOSED-ORDERrCA:SENO~CV'13~0469-RRC-- - - 1 IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff, United States of 2 America, For the Use of San Benito Supply, by and through its attorneys of record, Monteleone & 3 McCrory, LLP, and Defendants KISAQ-RQ 8A 2 JV, Federal Insurance Company and Western Surety 4 Company, and Defendant and Counterclaim PlaintiffFrazier Masonry Corporation, by and through their 5 attorneys Case, Ibrahim & Clauss, LLP, as follows based on the herein below facts and terms: 1. 6 7 deadline in this action; 2. 8 9 10 11 The mediation hearing is currently set for July 16, 2013 which is also the mediation The parties have propounded request for production of documents to each other and subpoenas to third parties. The responsive documents are to be produced by the end of June and early July; 3. Because of the proximity of the dates for production of documents to the mediation 12 renders it impractical to fully prepare for a meaningful mediation, the parties desire to continue the 13 mediation deadline to September 15,2013, and reschedule the mediation date for sometime in August 14 or early September in order to allow for time to review the records to be produced and have meaningful 15 settlement discussions. 16 17 18 19 20 21 22 23 4. The parties, through their attorneys of record hereby stipulate to the continuance of the· mediation deadline to September 14,2013. 5. This stipulation may be executed by fax and that a fax signature will be treated as an. original for all purposes. 6. This stipulation may be executed in counterparts, and that all executed counterparts will be taken together and treated as one full and complete document. IT IS SO STIPULATED AND AGREED. Dated: June 13, 2013 CASE, IBRAHIM & CLAUSS, LLP 24 25 By: 26 27 28 £e0 BRIAN S. CASE F. ALBERT IBRAHIM Attorneys for KISAQ-RQ 8A N, Frazier Masonry Company, Federal Insurance Company and Western Surety Company 2 XXXXXX 1 Dated: June 13, 2013 2 3 :o~ILmff::'ZL DIANADRON Attorneys for San Benito Supply 4 5 6 PURSUANT TO STIPULATION, IT IS SO ORDERED. 7 8 Date: June_, 2013 9 July 8, 2013 HOWARD R. LLOYD United Stated Magistrate Judge 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION FOR EXTENSION OF MEDIATION DEADLINE [PROPOSED ORDER]GASE NO. CV13-0469 HRL

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