Csaa Insurance Exchange v. Best Buy Co., Inc.

Northern District of California, cand-4:2015-cv-02899

ORDER granting {{25}} Stipulation to Continue ADR Deadline to 7/15/2016. Signed by Magistrate Judge Donna M. Ryu on 2/2/16.

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| | Alan J. Jang, SBN 83409 Email: ajang @ janglit. com 2 | | Jennifer A. Stewart, SBN 127812 Email: jstewart @ janglit. com JANG & ASSOCIATES, LLP | 1766 Lacassie Avenue, Suite 200 Walnut Creek, California 94596 Telephone: (925) 937 - 1400 | | Facsimile: (925) 937 - 1414 Attorneys for Plaintiff, CSAA INSURANCE EXCHANGE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA 11 | | CSAA INSURANCE EXCHANGE as subrogee of Dennis and Mona Verducci CASE NO .: 15 - CV - 02899 - DMR HONORABLE DISTRICT JUDGE DONNA M, RYU COURTROOM 4 Plaintiffs, Vs. STIPULATION TO CONTINUE ADR DEADLINE TO JULY 15, 2016 AND ORDER LG ELECTRONICSU.S. A ., Inc .; BEST BUY CO ., INC. WHICH WILL DO BUSINESS IN CALIFORNIA AS MN BEST BUY CO ., INC ., and DOES 1 through 25, inclusive, TRIAL DATE: 12 / 05 / 2016 Defendants. TO THIS HONORABLE COURT: The undersigned attorneys for all parties agree and stipulate to request a 90 - day continuance of the current mid - April, 2016, alternative dispute resolution ("ADR") deadline to a new ADR deadline of July 15, 2016. This request is made to allow new counsel for plaintiff time to get up to speed / conduct discovery prior to mediation. DATE: February 1, 2016 MUSICK, PEELER & GARRETT LLP Csee attached email) William A. Bossen, Cameron W. Thomas Attorneys for Defendant LG Electronics USA STIPULATION TO CONTINUE ADR DEADLINE TO JULY 5, 2016 1 DATE: February 2016 MANNING & KASS ELLROD, RAMIREZ, TRESTER LLP Melissa L. Grant Attorneys for Defendant BEST BUY CO, INC. ON DATE: February 1, 2016 JANG & ASSOCIATES, LLP Jennifer A. Stewart, Attorneys for Plaintiff, CSAA INSURANCE EXCHANGE ISTRICT IT IS SO ORDERED. To STATES NITED Ć COURT Dated: February 2, 2016 IT IS SO ORDERED UN UNT PONIYAM. RYU Jagdpantee TORNIAL Judge Donna M. Ryu VORTHE CALIFOR DIERN DI DISTRICT STIPULATION TO CONTINUE ADR DEADLINE TO JULY 2016 Mairin MacDonald From: Sent: To: Cc: Subject: Bossen, William < W. Bossen @ MPGLAW. com > Monday, February 01, 2016 1: 17 PM Jennifer Stewart; Melissa Grant (mlg @ manninglip. com); Thomas, Cameron Mairin MacDonald; Alan Jang RE: CSAA v. Best Buy (Verducci) LG will stipulate. The information contained in this communication is protected by the attorney - client and / or the attorney / work product privilege. It is intended only for the use of the addressee, and the privileges are not waived by virtue of this having been sent by e - mail. If the person actually receiving this communication or any other reader of the communication is not the named recipient, or the employee or agent responsible to deliver it to the recipient, any use, dissemination, distribution or copying of this communication is strictly prohibited. If you have received this communication in error, please immediately notify us by return e - mail or by e - mail to administrator @ mpglaw. com, and destroy this communication and all copies thereof, including all attachments. From: Jennifer Stewart [ mailto: istewart @ janglit. com ] Sent: Monday, February 01, 2016 12: 46 PM To: Melissa Grant (mlg @ manningſlp. com); Thomas, Cameron; Bossen, William Cc: Mairin MacDonald; Alan Jang Subject: CSAA v. Best Buy (Verducci) Dear Counsel: Ivy from Judge Ryu's courtroom is now telling me that if the only reason I want to keep the 2 / 3 / 16 CMC on calendar is to continue the April ADR deadline, I should file a stipulation of all counsel re continuing the deadline instead, so as not to waste everyone's time. Fair enough. Will you both stipulate to continuing the April ADR deadline to July 15, 2016 ? I ' II prepare the stip and circulate for filing today. If you ' d prefer some other ADR deadline, please let me know asap. Thanks ! Jennifer A. Stewart Associate Attorney JANG & ASSOCIATES, LLP 1766 Lacassie Ave. Suite 200 Walnut Creek, CA 94596 T: 925. 937. 1400 F: 925. 937. 1414 Website: www. janglit. com The information contained in this email may contain work product privileged and confidential information intended only for the use of the individual or entity named above. If the reader of this message is not the intended recipient, or the employee or agent responsible to deliver it to the intended recipient, you are hereby notified that any dissemination, distribution or copying of this communication is strictly prohibited. If you have received this communication in error, please notify us immediately by email and delete the original message. PROOF OF SERVICE I, Mairin MacDonald, declare: I am employed in Contra Costa County, State of California, am over the age of eighteen years, and not a party to the within action. My business address is 1766 Lacassie Avenue, Suite 200, Walnut Creek, California 94596. I am readily familiar with the business practice for collection and processing of correspondence for mailing with the United States Postal Service and / or other overnight delivery. Under overnight delivery practice, all mailings are deposited in an authorized area for pick - up by an authorized express service courier the same day it is collected and processed in the ordinary course of business. On this date, I served a true copy of the document described as: • STIPULATION TO CONTINUE ADR DEADLINE TO JULY 15, 2016 on the parties in this action by placing a true copy thereof in a sealed envelope, and each envelope addressed as follows: David V. Roth, Esq. Melissa L. Grant, Esq. MANNING & CASS ELLROD, RAMIREZ, TRESTER, LLP 121 Spear Street, Suite 200 San Francisco, CA 94105 William A. Bossen, Esq. MUSICK, PEELER & GARRETT, LLP 1 Wilshire Blvd ., Suite 2000 Los Angeles, CA 90017 ByU.S. Mail: I caused each such envelope to be served by depositing same, with postage thereon fully prepaid, in the United States Postal Service in the ordinary course of business at Walnut Creek, California. By CM / ECF Notice of Electronic Filing; I electronically filed the document (s) with the Clerk of the Court by using the CM / ECF system. Participants in the case who are registered CM / EDF users will be served by the CM / ECF system. Participants in the case who are not registered CM / ECF users will be served by mail or by other means permitted by the court rules. I declare under penalty of perjury that the foregoing is true and correct and that this declaration was executed on February 1, 2016, at Walnut Creek, California. Mai MacDealed Mairin MacDonald PROOF OF SERVICE