Opinion
No. 3:13-cv-00008-EMC
03-22-2013
CARLOS BEA and LOUISE BEA, Plaintiffs, v. ENCOMPASS INSURANCE COMPANY and DOES 1 through 100, inclusive, Defendants.
Michelle Bradley MANNION & LOWE E. GERARD MANNION Attorneys For Plaintiffs CARLOS BEA and LOUISE BEA SNR DENTON US LLP MICHELLE BRADLEY Attorneys For Defendant ALLSTATE INSURANCE COMPANY
E. GERARD MANNION (State Bar No. 77287)
WESLEY M. LOWE (State Bar No. 111761)
KELLY M. MANNION (State Bar No. 278816)
MANNION & LOWE
655 Montgomery Street, Suite 1200
San Francisco, CA 94111
Telephone: (415) 733-1050
Facsimile: (415) 434-4810
PHILIP T. PRINCE (State Bar No. 100098)
Law Offices of Philip T. Prince
655 Montgomery Street, Suite 1200
San Francisco, CA 94111
Telephone: (415) 981-7332
Facsimile: (415) 434-4810
Attorneys for Plaintiffs
CARLOS BEA and LOUISE BEA
CYNTHIA L. MELLEMA (State Bar No. 122798)
JEFFRY BUTLER (State Bar No. 180936)
MICHELLE BRADLEY (State Bar No. 221323)
SNR Denton US LLP
525 Market Street, 26th Floor
San Francisco, CA 94105
Telephone: (415) 882-5000
Facsimile: (415) 882-0300
E-mail: cynthia.mellema@snrdenton.com
jeffry.butler@snrdenton.com
michelle.bradley@snrdenton.com
Attorneys for Defendant
ENCOMPASS INSURANCE COMPANY
STIPULATION AND [PROPOSED]
ORDER CONTINUING CASE
MANAGEMENT CONFERENCE AND
RELATED DEADLINES
The parties, by and through their respective counsel of record, hereby stipulate and agree as follows and respectfully request that the Court approve and give effect to their stipulation:
Because the Court has not yet ruled on plaintiff's Motion to Remand (the "Motion"), the parties hereby stipulate that the following dates be taken off calendar and reset, if necessary, at the time the Court rules on the Motion:
Deadline to meet and confer April 4,2013Plaintiffs filed the Motion on January 31, 2013, and the hearing was set for March 21, 2013. On March 1, 2013, the Court took the hearing on the Motion off calendar. As such, in the interest of maximizing judicial efficiency and conserving resources by limiting litigation activities until the Court has had the opportunity to rule on the Motion, the parties believe it would be appropriate to take the case management conference and all related deadlines off calendar, to be reset, if necessary, at the time the Court rules on the Motion.
Deadline to file ADR certification and either a Stipulation to ADR Process or Notice of Need for ADR Phone Conference April 4, 2013
Deadline to submit joint Rule 26(f) report April 18, 2013
Case management conference April 25, 2013
IT IS SO STIPULATED. FILER'S ATTESTATION:
Pursuant to General Order No. 45, section X(B) regarding signatures, I attest under penalty of perjury that the concurrence in the filing of this document has been obtained from its signatories.
By: _______________
Michelle Bradley
MANNION & LOWE
By: _______________
E. GERARD MANNION
Attorneys For Plaintiffs CARLOS BEA and
LOUISE BEA
SNR DENTON US LLP
By: _______________
MICHELLE BRADLEY
Attorneys For Defendant
ALLSTATE INSURANCE COMPANY
IT IS SO ORDERED. CMC is reset for 5/30/13 at 9:00 a.m. A joint CMC statement shall be filed by 5/23/13.
_______________
Hon Edward M. Chen
U.S. District Court Judge