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Crosthwaite v. Paul T. Beck Contractors, Inc.

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA
Nov 14, 2011
Case No.: C10-0151 SC (N.D. Cal. Nov. 14, 2011)

Opinion

Case No.: C10-0151 SC

11-14-2011

GIL CROSTHWAITE and RUSS BURNS, in their respective capacities as Trustees of the OPERATING ENGINEERS' HEALTH AND WELFARE TRUST FUND, et al., Plaintiffs, v. PAUL T. BECK CONTRACTORS, INC., a California corporation; JAMES RAY BECK, individually, and dba JRB GRADING & PAVING aka JRB GRADING & PAVING, LLC., a Limited Liability Company, Defendants.

Michele R. Stafford, Esq. (SBN 172509) Blake E. Williams, Esq. (SBN 233158) SALTZMAN & JOHNSON LAW CORPORATION Attorneys for Plaintiffs Andrew B. Kreeft, Esq. (SBN 126673) Sergio H. Parra, Esq. (SBN 247682) Bohnen, Rosenthal & Kreeft Attorneys for Defendants


Michele R. Stafford, Esq. (SBN 172509)

Blake E. Williams, Esq. (SBN 233158)

SALTZMAN & JOHNSON LAW CORPORATION

Attorneys for Plaintiffs

Andrew B. Kreeft, Esq. (SBN 126673)

Sergio H. Parra, Esq. (SBN 247682)

Bohnen, Rosenthal & Kreeft

Attorneys for Defendants

JOINT CASE MANAGEMENT STATEMENT AND REQUEST FOR CONTINUANCE

Date: November 18, 2011

Time: 10:00 a.m.

Courtroom: 1, 17th Floor

450 Golden Gate Avenue San Francisco, CA 94102

Judge: Honorable Samuel Conti

Plaintiffs and Defendants jointly request that the Case Management Conference scheduled for November 18, 2011, at 10:00 a.m. be continued for approximately 45 days, as follows:

1. On May 27, 2011, Plaintiffs filed an Amended Complaint to include Defendants James Ray Beck, individually and doing business as JRB Grading & Paving, also known as JRB Grading & Paving, LLC.

2. On June 24, 2011, Defendants filed their Answer to the Amended Complaint.

3. On July 15, 2011, Plaintiffs filed an Administrative Motion to Consider Whether Case No. C11-0454 PJH (Operating Engineers Health & Welfare Trust Fund v. James Ray Beck, individually, and dba JRB Grading & Paving aka JRB Grading & Paving, LLC) should be Related Pursuant to Civil Local Rule 3-12.

4. On July 22, 2011, the Court issued a Related Case Order, relating the two matters before the Honorable Samuel Conti.

5. The Parties are currently engaged in active settlement discussions and are working toward an informal resolution of this Matter. It is the consensus of the Parties that if a settlement can be reached outside of Court, it will be reached in the next several weeks. All Defendants are aware that if a resolution cannot be reached informally, Plaintiffs will file a Motion for Summary Judgment against all Defendants named in the Amended Complaint.

6. Given the state of the Parties' settlement discussions, there is nothing to discuss at a Case Management Conference at the present time.

7. We therefore jointly request that the Case Management Conference be continued for approximately 45 days to allow the Parties time to conclude their settlement discussions. All related deadlines (such as Rule 26 disclosures) shall also be continued along with the Case Management Conference.

Dated: November 10, 2011

SALTZMAN & JOHNSON

LAWCORPORATION

Blake E. Williams

Attorneys for Plaintiffs

BOHNEN, ROSENTHAL & KREEFT

Sergio H. Parra

Attorneys for Defendants

IT IS SO ORDERED.

The currently set Case Management Conference is hereby continued to March 9, 2012 at 10:00 am. . All related deadlines are extended accordingly.

Samuel Conti

UNITED STATES DISTRICT JUDGE

PROOF OF SERVICE:

I, the undersigned, declare:

I am employed in the County of San Francisco, State of California. I am over the age of eighteen and not a party to this action. My business address is 44 Montgomery Street, Suite 2110, San Francisco, California 94104.

On November 10, 2011, I served the following document(s) on the parties to this action in the manner described below:

JOINT CASE MANAGEMENT STATEMENT AND REQUEST FOR CONTINUANCE XX ELECTRONICALLY by causing said document to be electronically filed using the Court's Electronic Court Filing ("ECF") System and service was completed by electronic means by transmittal of a Notice of Electronic Filing on the registered participants of the ECF System.

To:

Andrew B. Kreeft, Esq.
Sergio H. Parra, Esq.
Bohnen, Rosenthal & Kreeft
787 Munras Avenue, Suite 200
Monterey, California 93940
VIA ECF
Attorneys for Defendants

I declare under penalty of perjury that the foregoing is true and correct and that this declaration was executed on this 10th day of November, 2011, at San Francisco, California.

________________________

Qui X. Lu


Summaries of

Crosthwaite v. Paul T. Beck Contractors, Inc.

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA
Nov 14, 2011
Case No.: C10-0151 SC (N.D. Cal. Nov. 14, 2011)
Case details for

Crosthwaite v. Paul T. Beck Contractors, Inc.

Case Details

Full title:GIL CROSTHWAITE and RUSS BURNS, in their respective capacities as Trustees…

Court:UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA

Date published: Nov 14, 2011

Citations

Case No.: C10-0151 SC (N.D. Cal. Nov. 14, 2011)