Opinion
Case No. 2:09-CV-01814-MCE-EFB
08-29-2011
BARG COFFIN LEWIS & TRAPP, LLP Donald E. Sobelman Attorneys for Defendant THE BOEING COMPANY and MCDONNELL DOUGLAS CORPORATION COVINGTON & BURLING LLP Lawrence A. Hobel Attorneys for Defendant AEROJET-GENERAL CORPORATION SOMACH, SIMMONS & DUNN Stuart L. Somach Attorneys for Plaintiffs COUNTY OF SACRAMENTO and SACRAMENTO COUNTY WATER AGENCY
SOMACH, SIMMONS & DUNN
STUART L. SOMACH
Attorneys for Plaintiffs
COUNTY OF SACRAMENTO
and SACRAMENTO COUNTY WATER AGENCY
RICHARD C. COFFIN
BARG COFFIN LEWIS & TRAPP, LLP
Attorneys for Defendants
THE BOEING COMPANY and MCDONNELL
DOUGLAS CORPORATION
LAWRENCE A. HOBEL,
COVINGTON & BURLING LLP
One Front Street
BRIAN SWEENEY, (State Bar No. 195999,
AEROJET-GENERAL CORPORATION
Attorneys for Defendants
AEROJET-GENERAL CORPORATION
STIPULATION FOR STAY OF ACTION; ORDER
Date: No Hearing Requested
Time: N/A
Courtroom: 7
WHEREAS, under this Court's Stipulated Order of May 27, 2010, this action was stayed until November 30, 2010, and Defendants had until January 10, 2011, to file a response to the First Amended Complaint;
WHEREAS, under this Court's Stipulated Order of November 16, 2010, the stay was extended to May 30, 2011, and Defendants had until July 11, 2011, to file a response to the First Amended Complaint;
WHEREAS, under this Court's Stipulated Order of June 1, 2011, the stay again was extended to August 31, 2011, and Defendants have until October 14, 2011, to file a response to the First Amended Complaint.
WHEREAS, the parties continue to engage in meaningful settlement discussions, and believe that a continued stay of the litigation until October 31, 2011 is in the best interest of all parties, will promote judicial efficiency, and will reduce litigation costs because it will allow the parties to focus on such discussions;
WHEREAS, for these reasons, the parties jointly seek this Court's Order staying the litigation until October 31, 2011, and to establish new dates for the filing of the Joint Status Report and for Defendants' response to the First Amended Complaint;
THEREFORE:
IT IS HEREBY STIPULATED, by and between the Plaintiffs and Defendants that
1. The action is stayed until October 31, 2011, including all obligations pursuant to Rule 26, and any obligation to respond to the First Amended Complaint.
2. The Joint Status Report is due on November 30, 2011.
3. Defendants have until December 16, 2011, to respond to the First Amended Complaint.
BARG COFFIN LEWIS & TRAPP, LLP
Donald E. Sobelman
Attorneys for Defendant
THE BOEING COMPANY and
MCDONNELL DOUGLAS CORPORATION
COVINGTON & BURLING LLP
Lawrence A. Hobel
Attorneys for Defendant
AEROJET-GENERAL CORPORATION
SOMACH, SIMMONS & DUNN
Stuart L. Somach
Attorneys for Plaintiffs
COUNTY OF SACRAMENTO and
SACRAMENTO COUNTY WATER AGENCY
GOOD CAUSE APPEARING, IT IS SO ORDERED.
MORRISON C. ENGLAND, JR
UNITED STATES DISTRICT JUDGE
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing will be e-filed on August 24, 2011, and will be automatically served upon counsel of record, all of whom appear to be subscribed to receive notice from the ECF system.
Michael E. Vergara