Gauthier v. Genmor Plumbing, Inc. et al

Filing 17

ORDER GRANTING STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE AND EXTEND INITIAL DEADLINES, granting 13 . Signed by Judge Paul S. Grewal on 1/19/2015. (ofr, COURT STAFF) (Filed on 1/19/2015)

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1 2 3 4 5 6 7 8 9 10 11 12 13 TOMAS MARGAIN, Bar No. 193555 HUY TRAN, Bar No. 288196 Justice at Work Law Group 84 W. Santa Clara St., Ste. 790 San Jose, CA 95113 Tel: (408) 317-1100 Fax: (408) 351-0105 Tomas@JAWLawGroup.com Huy@JAWLawGroup.com Attorneys for Plaintiff DAVID GAUTHIER ROGER M. MASON, ESQ. (107486) SWEENEY, MASON, WILSON & BOSOMWORTH A Professional Law Corporation 983 University Avenue, Suite 104C Los Gatos, CA 95032-7637 Telephone: (408) 356-3000 Facsimile: (408) 354-8839 Attorneys for Defendants GENMOR PLUMBING, INC. and GENARO DELGADILLO MORALES 14 UNITED STATES DISTRICT COURT 15 FOR NORTHERN DISTRICT OF CALIFORNIA 16 SAN JOSE DIVISION 17 18 19 20 21 22 DAVID GAUTHIER Plaintiff v. GENMOR PLUMBING, INC. and GENARO DELGADILLO MORALES Defendant(s) Case No.: C 14-03920 PSG STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE AND EXTEND INITIAL DEADLINES 23 24 25 -1STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE Plaintiff DAVID GAUTHIER and Defendants GENMOR PLUMBING, INC. and 1 2 3 4 GENARO DELGADILLO MORALES through their attorneys’ of record, hereby stipulate as follows: 1. 5 one (21) days to allow the Court sufficient time to review the Case Management 6 Statement, filed one day before the presently set CMC, and allow the parties to finish 7 8 their rule 26 obligations namely completing the Initial Disclosures. 2. 9 mediation. 3. 12 Plaintiff’s Counsel takes responsibility for the late filed statement as he had indicated to Roger Mason, when they spoke face to face at an appearance in another 13 Department in this Court, that he would send the Draft Statement and stipulation to 14 15 Counsel have met and conferred on the issues in dispute and exchanged most documents needed to be able to resolve the matter. They have also agreed on 10 11 The parties seek a continuance of the Initial Case Management Conference of twenty- Mediation. SO STIPULATED 16 FOR PLAINTIFF 17 18 DATED: January 19, 2015 19 By: /s/ Tomas Margain Tomas E. Margain For Plaintiff 20 FOR DEFENDANTS 21 22 DATED: January 19, 2015 23 By: /s/ ROGER M. MASON ROGER M. MASON For Defendants 24 25 -2STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE 1 ORDER 2 Based on GOOD CAUSE shown, the initial Case Management Conference and Rule 26 3 Deadlines are continued as follows: 4 January 27, 2015 5 6 7 • Last Day to file a Magistrate Consent or Declination. • Last Day to Meet and Confer Regarding Initial Discloses, ADR process election and discovery plan. 8 9 • Last Day to file ADR Certificate signed by Parties and Counsel. 10 • Last Day to either file a stipulation to ARD Process or Notice of Need for ADR Phone 11 12 Conference February 3, 2015 13 • Last Day to File Rule 26(f) Report, complete initial disclosures and file Joint Case 14 Management Statement 15 16 17 February 10, 2015 • Initial Case Management Conference in Courtroom 5,4h Floor, San Jose Courthouse at 18 10:00 a.m. 19 IT IS SO ORDERED 20 21 DATED: January 19, 2015 By: PAUL S. GREWAL Magistrate Judge of the United States District Court 22 23 24 25 -3STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE

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