Patricia H Mintz v. Kaiser Foundation Health Plan, Inc. et al

Northern District of California, cand-4:2015-cv-01924

ORDER by Judge Haywood S. Gilliam, Jr. Granting {{23}} Stipulated Request to Continue Case Management Conference.

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1 CREITZ & SEREBIN LLP Joseph A. Creitz, Cal. Bar No. 169552 2 joe@creitzserebin.com 3 Lisa Serebin, Cal. Bar No. 146312 lisa@creitzserebin.com 4 CREITZ & SEREBIN LLP 250 Montgomery Street, Suite 1400 5 San Francisco, CA 94104 415.466.3090 (tel) 6 415.513.4475 (fax) 7 Attorneys for Plaintiff 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 11 PATRICIA H. MINTZ, an individual, Case No. 15-CV-1924-HSG 12 Plaintiff, STIPULATED REQUEST TO 13 CONTINUE CASE MANAGEMENT v. CONFERENCE; [PROPOSED] ORDER 14 THEREON KAISER FOUNDATION HEALTH PLAN, 15 INC., in its capacity as Plan Administrator and fiduciary of the Kaiser Permanente Salaried 16 Retirement Plan, and KAISER PERMANENTE SALARIED RETIREMENT 17 PLAN, 18 Defendants. 19 20 21 Pursuant to Northern District Civil Local Rules 6-1(b), 6-2, 7-12, and 16-2(e), Plaintiff 22 Patricia H. Mintz ("Plaintiff") and Defendants Kaiser Permanente Administrative Committee, 23 erroneously sued as "Kaiser Foundation Health Plan, Incorporated" and Kaiser Permanente 24 Retirement Plan (the "Plan"), erroneously sued as "Kaiser Permanente Salaried Retirement Plan" 25 (collectively referred to herein as "Defendants") by and through their counsel, stipulate and agree 26 as follows: 27 // 28 STIPULATED REQUEST TO CONTINUE CMC; [PROPOSED] ORDER THEREON/ CASE NO. 15-CV-1924-HSG 1 WHEREAS, pursuant to the Court's Order dated June 8, 2015, the initial Case 2 Management Conference ("CMC") in this matter is currently scheduled for August 11, 2015 at 3 2:00 p.m; 4 WHEREAS, counsel for Plaintiff is unavailable to attend the CMC as currently scheduled 5 by the Court due to scheduling conflicts; 6 WHEREAS, Defendants' counsel does not object to a proposed continuance of the CMC; 7 WHEREAS, lead trial counsel for the Parties are available to attend a CMC on 8 September 1, 2015 at 2:00 p.m.; 9 WHEREAS, the Parties previously stipulated to extend the deadline for Defendants to 10 respond to Plaintiff's Complaint and to Continue the Initial Case Management Conference, but 11 did not continue any other event or deadline previously fixed by the Court, including the CMC 12 statement due date of July 28, 2015. 13 NOW THEREFORE, the Parties respectfully request that the Court continue the initial 14 CMC to August 25, 2015 or thereafter, pursuant to the Court's and counsel's availability. The 15 Parties agree that this extension will not alter the date of any other event or any other deadline 16 already fixed by Court Order or by this Stipulation, including the CMC Statement due date of 17 July 28, 2015. 18 19 DATED: July 28, 2015 Respectfully submitted, 20 CREITZ & SEREBIN LLP 21 By: _/s/Lisa S. Serebin_ ______________ Lisa S. Serebin 22 Attorneys for Plaintiff PATRICIA H. MINTZ 23 24 25 26 27 28 2 STIPULATED REQUEST TO CONTINUE CMC; [PROPOSED] ORDER THEREON/ CASE NO. 15-CV-1924-HSG 1 DATED: July 28, 2015 SEYFARTH SHAW LLP 2 3 By: /s/ Michelle M. Scannell Kathleen Cahill Slaught 4 Michelle M. Scannell Attorneys for Defendants 5 KAISER FOUNDATION HEALTH PLAN, INC., and KAISER PERMANENTE 6 SALARIED RETIREMENT PLAN 7 ATTESTATION 8 Pursuant to Civil Local Rule 5-1(i)(3), I attest that concurrence in the filing of this 9 document has been obtained from each of the other signatories. 10 11 ___/s/ Lisa S. Serebin______ 12 Lisa S. Serebin 13 PURSUANT TO STIPULATION, IT IS SO ORDERED that the Case Management 14 Conference is continued to September 1, 2015. 15 Dated: __________________________ 8/6/2015 ____________________________________ 16 U.S. District Judge Haywood S. Gilliam, Jr. 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATED REQUEST TO CONTINUE CMC; [PROPOSED] ORDER THEREON/ CASE NO. 15-CV-1924-HSG