Juan Lucero, Jr. v. John Ettare, et al

Northern District of California, cand-4:2015-cv-02654

STIPULATION AND ORDER re {{38}} STIPULATION WITH PROPOSED ORDER RESCHEDULING CASE MANAGEMENT CONFERENCE filed by City of Berkeley Case Management Statement due by 4/12/2016. Further Case Management Conference set for 4/19/2016 01:30 PM in Courtroom 4, 3rd Floor, Oakland. Signed by Magistrate Judge Kandis A. Westmore on 3/7/16.

Interested in this case?

Current View

Full Text

1 ZACH COWAN, City Attorney, SBN 96372 LYNNE S. BOURGAULT, Deputy City Attorney, SBN 180416 2 BERKELEY CITY ATTORNEY'S OFFICE 2180 Milvia Street, Fourth Floor 3 Berkeley, CA 94704 Telephone: (510) 981-6998 4 Facsimile: (510) 981-6960 lbourgault@ci.berkeley.ca.us 5 Attorneys for Defendants City of Berkeley and John Ettare 6 7 ANTHONY BOSKOVICH 8 LAW OFFICES ANTHONY BOSKOVICH 28 N. First Street, 6th Floor 9 San Jose, CA 95113-1210 policemisconduct@compuserve.com 10 Attorneys for Plaintiff Juan Lucero, Jr. 11 12 13 UNITED STATES DISTRICT COURT 14 FOR THE NORTHERN DISTRICT OF CALIFORNIA 15 16 JUAN LUCERO, JR., No. 4:15-cv-02654-KAW 17 Plaintiff, 18 STIPULATION AND [PROPOSED] v. ORDER RESCHEDULING CASE 19 MANAGEMENT CONFERENCE CITY OF BERKELEY, JOHN ETTARE, ET 20 AL., 21 Defendants. 22 23 24 WHEREAS, the Court's Order dated January 12, 2016, scheduled a Case Management 25 Conference for April 12, 2016 at 1:30 p.m., and pursuant to this Court's Standing Order, the 26 Joint Case Management Statement would be due on April 5, 2016; 27 WHEREAS, counsel for defendants has a scheduling conflict on April 12, 2016 due to a 28 prior commitment; 1 STIPULATION RESCHEDULING CASE MANAGEMENT CONFERENCE No. 4:15-cv-02654-KAW 1 THEREFORE, it is hereby stipulated and agreed between Plaintiff and Defendants 2 through their respective counsel listed below, subject to the approval of the Court that: 3 1. The Case Management Conference currently scheduled for April 12, 2016 at 1:30 4 p.m. shall be re-scheduled for April 19, 2016 at 1:30 p.m. 5 2. The parties will file their Joint Case Management Statement on or before April 6 12, 2016. 7 IT IS SO STIPULATED 8 Respectfully submitted: 9 Dated: March 4, 2016 ZACH COWAN, City Attorney LYNNE BOURGAULT, Deputy City Attorney 10 By: /s/ 11 LYNNE S. BOURGAULT Attorneys for Defendants 12 13 Dated: March 4, 2016 ANTHONY BOSKOVICH, Law Offices of Anthony Boskovich 14 By: /s/ 15 ANTHONY BOSKOVICH Attorney for Plaintiff 16 17 18 19 ORDER 20 Pursuant to the parties' stipulation, IT IS ORDERED. 21 22 23 24 3/7 Dated: ______, 2016 ___________________________________ Magistrate Judge Kandis A. Westmore 25 26 27 28 2 STIPULATION RESCHEDULING CASE MANAGEMENT CONFERENCE No. 4:15-cv-02654-KAW