Jordan v. Colvin

Filing 15

ORDER APPROVING 14 STIPULATION FOR EXTENSION OF TIME FOR DEFENDANTS TO RESPOND TO PLAINTIFF'S MOTION FOR SUMMARY JUDGMENT AND/OR TO FILE ANY CROSS-MOTIONS. Responses due by 7/28/2015. Replies due by 8/25/2015. Signed by Hon. Beth Labson Freeman on 5/19/2015. (blflc2S, COURT STAFF) (Filed on 5/19/2015)

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8 MELINDA HAAG, CSBN 132612 United States Attorney DONNA L. CALVERT, SBN IL 6191786 Regional Chief Counsel, Region IX Social Security Administration JENNIFER LEE TARN CSBN 240609 Special Assistant United States Attorney Social Security Administration 1600 Spear Street, Suite 800 San Francisco, California 94105 Telephone: (415) 977-8825 Facsimile: (415) 744-0134 E-mail: Jennifer.Tarn@ssa.gov 9 Attorneys for Defendant 1 2 3 4 5 6 7 10 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA 11 12 13 14 STEVEN M. JORDAN, 15 16 17 18 19 20 Plaintiff, vs. CAROLYN W. COLVIN, Acting Commissioner, Social Security Administration, Defendant. _______________________________ ) ) ) ) ) ) ) ) ) ) ) Case No. 5:14-cv-05037-BLF STIPULATION AND PROPOSED ORDER FOR EXTENSION TIME FOR DEFENDANT TO RESPOND TO PLAINTIFF’S MOTION FOR SUMMARY JUDGMENT AND/OR TO FILE ANY CROSS-MOTIONS 21 22 IT IS HEREBY STIPULATED by the parties, through their undersigned counsel, and with the 23 approval of the Court, to extend the time by sixty days, from May 29, 2015 to July 28, 2015, for 24 Defendant to respond to Plaintiff’s Motion for Summary Judgment and/or file any cross-motion 25 thereto, and extend all other dates in the Court’s November 17, 2014 Social Security Procedural Order 26 accordingly. Any reply by Plaintiff would be due by August 25, 2015. This is Defendant’s first 27 request for an extension. 28 -1- 1 There is good cause for this extension because the instant case is being reassigned to another 2 attorney within the Social Security Administration’s Office of the General Counsel, Region IX. An 3 extension, therefore, is necessary to allow new counsel for Defendant an opportunity to become 4 familiar with the factual and legal issues presented in Plaintiff’s portion of the joint stipulation. 5 Plaintiff also requests an additional two weeks to file his reply. 6 7 Date: May 18, 2015 SACKETT AND ASSOCIATES By: 8 9 10 /s/ Harvey Peter Sackett * HARVEY PETER SACKETT Attorney for the Plaintiff (* As authorized on May 18, 2015) 11 12 Date: May 18, 2015 13 MELINDA HAAG United States Attorney By: 14 15 /s/ Jennifer Lee Tarn JENNIFER LEE TARN Special Assistant United States Attorney Attorney for Defendant 16 17 18 19 20 ORDER PURSUANT TO STIPULATION, IT IS SO ORDERED. DEFENDANT SHALL FILE HER RESPONSE TO PLAINTIFF’S MOTION FOR SUMMARY JUDGMENT ON OR BEFORE JULY 28, 2015. PLAINTIFF SHALL FILE ANY REPLY THERETO ON OR BEFORE AUGUST 25, 2015. 21 22 23 24 Dated: May 19, 2015 _________________________________ HON. BETH LABSON FREEMAN UNITED STATES DISTRICT JUDGE 25 26 27 28 -2-

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