Aguiar v. Webb et al

Filing 61

STIPULATION TO CONTINUE JANUARY 11, 2008 HEARING AND SCHEDULING CONFERENCE by Floyd Webb. (Karl, Brandy)

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Aguiar v. Webb et al Doc. 61 UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS WILLIAM V. AGUIAR III, Plaintiff, v. FLOYD WEBB, BARRON SHEPHERD, WENDY SHEPHERD, AND ASHIDA KIM a/k/a CHRISTOPHER HUNTER a/k/a BRADFORD DAVIS, Defendants. CIVIL ACTION NO. 07-11673-MLW JOINT STIPULATION TO CONTINUE JANUARY 11, 2008 HEARING AND SCHEDULING CONFERENCE Defendant Floyd Webb, Defendants Barron and Wendy Shepherd, Pro Se Defendant Radford Davis a/k/a Ashida Kim, and Pro Se Plaintiff William V. Aguiar III, stipulate, subject to Court approval, to a continuance of the hearing and scheduling conference currently scheduled for 2:00pm January 11, 2008 until 2:00pm February 1, 2008. As set forth in the Declaration of Anthony T. Falzone, submitted herewith, there is good cause for the proposed extension. Mr. Falzone is the senior attorney for Mr. Webb. He is expecting the birth of his second child on January 5, 2008 or within the two weeks following that date and is accordingly unable to travel to Boston to attend the scheduled hearing. One extension of time has been granted in the above-captioned matter. Defendant Webb and Plaintiff Aguiar stipulated to an extension of time to file Defendant Webb's Dockets.Justia.com response to Plaintiff's Motion to Amend the Complaint. The Court endorsed that stipulation on October 26, 2007. There have been no continuances in this matter, and there are no other dates (including hearing dates, discovery cut-off dates, hearing deadlines, pre-trial conference dates, or trial dates) currently set in this matter besides the hearing date sought to be continued. For the reasons described above, there is good cause to grant the continuance of the January 11, 2008 hearing in this matter. A proposed order is attached hereto. Respectfully submitted this 20th day of December, 2007, by joint stipulation of all parties. /s/ Brandy A. Karl Brandy A. Karl (BBO #661441) Center for Internet and Society Stanford Law School 559 Nathan Abbott Way Stanford, CA 94305-8610 Tel: (650) 724-0517 bkarl@stanford.edu Attorney for Defendant Webb /s/ Aaron Silverstein Aaron Silverstein (BBO# 660716) Arpiar M. Saunders (BBO# 664997) Saunders Silverstein & Booth LLP 172 State Street Suite 3 Newburyport, MA 01950 Tel: (978) 463-9100 asilverstein@ssbooth.com msaunders@ssbooth.com /s/ William V. Aguiar III 630 Maple Street Fall River, MA 02720 Tel: (508) 678-5310 Pro Se Plaintiff /s/ Radford Davis Radford Davis a/k/a Ashida Kim Post Office Box 209 Lake Alfred, FL 33850 Tel: (863) 401-9473 dojopress@gmail.com Pro Se Defendant Attorneys for Defendants Shepherd 2 CERTIFICATE OF SERVICE I hereby certify that this document filed on December 20, 2007, through the ECF system will be sent electronically to the registered participants as identified on the Notice of Electronic Filing (NEF) and paper copies will be sent to those indicated as nonregistered participants on the above date. /s/ Brandy A.Karl Brandy A. Karl 3

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