Turner v. United States Attorney General

Northern District of California, cand-4:2015-cv-03085

ORDER granting re {{12}} STIPULATION WITH PROPOSED ORDER Corrected filed by United States Attorney General; finding as moot {{10}} Motion to Continue; finding as moot {{11}} Stipulation. Initial Case Management Conference set for 12/17/2015 at 02:00 PM in Courtroom 3, 3rd Floor, Oakland. Joint Case Management Statement due by 12/10/2015. Signed by Judge Phyllis J. Hamilton on 10/1/15.

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BRIAN J. STRETCH (CABN 163973) Acting United States Attorney ALEX G. TSE (CABN 152348) Chief, Civil Division ROBIN M. WALL (CSBN 235690) Assistant United States Attorney 450 Golden Gate Avenue, Box 36055 San Francisco, California 94102-3495 Telephone: (415) 436-7071 Fax:(415)436-6748 Robin. Wall@usdoj .gov Attorneys for Defendants 9 10 UNITED STATES DISTRICT COURT 11 NORTHERN DISTRICT OF CALIFORNIA 12 SAN FRANCISCO DIVISION 13 MATHYL D. TURNER,) Case No. 15-cv-03085 PJH 14) Plaintiff,) JOINT STIPULATION AND [PROPOSED] 15) ORDER TO CONTINUE CASE MANAGEMENT v.) CONFERENCE 16 UNITED STATES ATTORNEY GENERAL,) 17 Defendant.) Hon. Phyllis J. Hamilton 18 19 20 JOINT STIPULATION 21 The parties stipulate to and request a continuance of the case management conference currently 22 set for October 8, 2015. 23 The parties request a continuance for the following reasons. As an initial matter, the federal 24 defendant was only recently served on September 21, 2015, and its answer or response to the complaint 25 is not due until November 20, 2015. Additionally, plaintiff is seeking to obtain new counsel as she 26 indicated to the Court in her recent motion to continue the case management conference. (Dkt. 10) 27 Finally, the federal defendant's counsel is scheduled to be on a flight at the time of the scheduled 28 JOINT STIPULATION TO CONTINUE CMC 15-CV-03085PJH conference. For good cause shown, both parties request a continuance of the initial case management conference currently set for October 8, 2015 until December 11, 2015, or such other date as the Court shall determine after the federal defendant has answered or otherwise responded to the complaint. IT IS SO STIPULATED. 7 Dated: September 30, 2015 BRIAN J. STRETCH Acting United States Attorney 8 9 /s/ Robin M. Wall 10 ROBIN M. WALL 11 Assistant United States Attorney Attorney for Federal Defendant 12 MATHYL D. TURNER 14 /s/ Mathvl D. Turner 15 Plaintiff 16 " 17 CERTIFICATION 18 Pursuant to Civil L.R. 5-l(i)(3), the undersigned hereby attests that Mathyl D. Turner has 19 concurred in the filing of this document. 20 Dated: September 30, 2015 BRIAN J. STRETCH Acting United States Attorney 22 /s/ Robin M. Wall 23 ROBIN M. WALL 24 Assistant United States Attorney Attorney for Federal Defendant 25 26 27 28 JOINT STIPULATION TO CONTINUE CMC 15-CV-03085PJH 1 [PROPOSED] ORDER 2 IT IS ORDERED that the initial case management conference currently set for October 8, 2015 17 3 be continued to December 11, 2015, with the parties' initial joint case management statement due 10 4 December 4, 2015. S DISTRICT 5 Dated: _______________, October 1 2015 TE C TA O S U ED RT 6 VED UNIT APPRO R NIA 7 am ilton NO Ph yllis J. H FO Hon. Phyllis JuJ.dgeHamilton RT LI 8 United States E R Chief District Judge H A N C F D IS T IC T O R 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 JOINT STIPULATION TO CONTINUE CMC 15-CV-03085 PJH