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Levine v. the Sleep Train, Inc.

United States District Court, Ninth Circuit, California, E.D. California
Apr 14, 2015
CV 15-00002 WBS (E.D. Cal. Apr. 14, 2015)

Opinion

          CELIA MCGUINNESS, Esq., PAUL L. REIN, Esq., CATHERINE CABALO, Esq., LAW OFFICES OF PAUL L. REIN, Oakland, CA, Attorneys for Plaintiffs, ROBERT LEVINE and VERONICA GUZMAN * Defendants' counsel listed after the caption.

          SHEPPARD, MULLIN, RICHTER & HAMPTON LLP, A Limited Liability Partnership Including Professional Corporations, GREGORY F. HURLEY, BRADLEY J. LEIMKUHLER, Costa Mesa, California, Attorneys for Defendants, LIVE NATION ENTERTAINMENT, INC. and THE SLEEP TRAIN, INC.


          STIPULATION AND [PROPOSED] ORDER TO CONTINUE STATUS CONFERENCE DATE

          WILLIAM B. SHUBB, District Judge.

         TO THE CLERK OF THE ABOVE-ENTITLED COURT AND TO ALL PARTIES AND TO THEIR RESPECTIVE ATTORNEYS OF RECORD:

         STIPULATION

         Plaintiffs Robert Levine and Veronica Guzman ("Plaintiffs") through their counsel of record make this unopposed request that the Court continue the Status Conference from April 27, 2015, to May 11, 2015, or a date thereafter that is agreeable to the Court. This request is based on the following good cause:

1. Plaintiffs' counsel is scheduled to take a deposition in another matter on April 27, 2015, that was scheduled before the Court set this Status Conference.

2. It would be difficult to reschedule the deposition because of the deadlines in the other case and because of the number of attorneys and others involved.

3. A delay in the Status Conference in this case will allow the parties to make progress on discovery and planning, which will make them more prepared to discuss the case in detail.

4. All parties are available for a Status Conference on May 11, 2015.

5. Defendants Live Nation Entertainment, Inc. and The Sleep Train, Inc. ("Defendants") do not oppose this request.

         Therefore, Plaintiffs hereby make this unopposed request, through their counsel, that this Court continue the date of the Status Conference from April 27, 2015, to May 11, 2015, or a date thereafter agreeable to the Court and the Joint Status Conference Statement shall be due two weeks prior to the conference.

          ORDER

         Pursuant to stipulation, and for good cause shown, IT IS SO ORDERED. The Case Management Conference in the above captioned case is hereby moved from April 27, 2015, to May 11, 2015 at 2:00 p.m. A Joint Case Management Conference statement shall be due two weeks prior to the conference on April 27, 2015


Summaries of

Levine v. the Sleep Train, Inc.

United States District Court, Ninth Circuit, California, E.D. California
Apr 14, 2015
CV 15-00002 WBS (E.D. Cal. Apr. 14, 2015)
Case details for

Levine v. the Sleep Train, Inc.

Case Details

Full title:ROBERT LEVINE and VERONICA GUZMAN, Plaintiffs, v. THE SLEEP TRAIN, INC.…

Court:United States District Court, Ninth Circuit, California, E.D. California

Date published: Apr 14, 2015

Citations

CV 15-00002 WBS (E.D. Cal. Apr. 14, 2015)