Zenaida Bose v. Virgil Valin et al
Filing
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ORDER GRANTING SECOND STIPULATION Re: Service and Case Management Conference 18 . Deadline for Defendant Sunrise to file an answer is 5/25/2015. Case Management Conference set for 6/3/2015 10:00 AM in Courtroom A, 15th Floor, San Francisco. Signed by Judge Nathanael Cousins on 3/26/2015. (lmh, COURT STAFF) (Filed on 3/26/2015)
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TOMAS E. MARGAIN, Bar No. 193555
HUY TRAN, Bar No. 288196
Justice at Work Law Group
84 West Santa Clara Street, Suite 790
San Jose, CA 95113
Telephone: (408) 317-1100
Facsimile: (408) 351-0105
Tomas@JAWLawGroup.com
Huy@JAWLawGroup.com
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Attorneys for Plaintiffs
ZENAIDA BOSE
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN JOSE DIVISION
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ZENAIDA BOSE and FLORENTINO
SABUG,
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Case No. 14-CV-04744 NC
SECOND STIPULATION RE: SERVICE
AND INITIAL CASE MANAGEMENT
CONFERENCE AND ORDER
Plaintiffs,
v.
VIRGIL VALIN and AMOR VALIN,
individually and together dba
LASSENPARK RESIDENTIAL HALL
and LASSENPARK VILLA, and
SUNRISE RCFE, INC.,
Defendants.
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TO THIS COURT AND ALL PARTIES THROUGH THEIR ATTORNEYS OF RECORD:
The parties have stipulated to the following in regard to service of the initial pleadings and
the initial case management conference:
1. In the course of investigation, new parties were discovered. Plaintiff FLORENTINO
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SABUG joins Plaintiff ZENAIDA BOSE on all actions, and Defendant SUNRISE RCFE,
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INC. has been named. Defense Counsel ZANE BECKER will represent SUNRISE as
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well as Defendants VIRGIL and AMOR VALIN.
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1
SECOND STIPULATION
Case No. 14-CV-04744 NC
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2. Defendant SUNRISE will waive service under FRCP 4, giving it 60 days from the date of
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this stipulation to file an Answer. The parties agree that the deadline for Defendant
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SUNRISE is Monday, May 25, 2015.
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3. The parties have been negotiating a settlement in good faith, and have made progress. To
permit the parties more time to attempt informal resolution, the parties stipulate and
jointly request that the deadline for all Defendants to file their Answer be set for May 25,
2015. The parties also stipulate and jointly request that the Initial CMC currently set for
April 29 be continued until June 3.
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IT IS SO STIPULATED
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Dated: March 25, 2015
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//s//Huy Tran//s//
Huy Tran
Attorney for Plaintiffs
ZENAIDA BOSE and FLORENTINO
SABUG
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Dated: March 25, 2015
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//s//Zane Becker//s//
Zane Becker
Attorney for Defendants
VIRGIL VALIN, AMOR VALIN and
SUNRISE RCFE, INC.
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S
GRAN
TED
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thanael
Judge Na
2N
s
A
H
ER
M. Cousin
LI
RT
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NO
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R NIA
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Dated: March 26, 2015
UNIT
ED
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RT
U
O
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S DISTRICT
TE
C
TA
FO
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F
D IS T IC T O
R
SECOND STIPULATION
C
Case No. 14-CV-04744 NC
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