Opinion
CASE NO.:5:10-cv-05533-EJD
11-17-2011
PROBUILDERS SPECIALTY INSURANCE COMPANY, RRG, a District of Columbia, Risk Retention Group, Plaintiff, v. VALLEY CORP. B., a California Corporation formerly known as R.J. HAAS CORP.; RONALD J. HAAS, an individual; TY LEVINE, an individual; and KAREN LEVINE, an individual, Defendants.
GEORGE D. YARON, ESQ. (State Bar #96246) JAMES I SILVERSTEIN, ESQ. (State Bar #| 43543) HIELAM CHAN, ESQ. (State Bar #267321) YARON & ASSOCIATES Attorneys for Plaintiff and Counter-Defendant PROBUILDERS SPECIALTY INSURANCE COMPANY, RRG KIM O. DINCEL CHRISTOPHER G. LAI Attorneys for Defendants TY LEVINE AND KAREN LEVINE
GEORGE D. YARON, ESQ. (State Bar #96246)
JAMES I SILVERSTEIN, ESQ. (State Bar #| 43543)
HIELAM CHAN, ESQ. (State Bar #267321)
YARON & ASSOCIATES
Attorneys for Plaintiff and Counter-Defendant
PROBUILDERS SPECIALTY INSURANCE COMPANY, RRG
STIPULATION AND [PROPOSED] ORDER TO CONTINUE THE DEADLINE TO COMPLETE ALTERNATIVE DISPUTE RESOLUTION
IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff and Counter-Defendant PROBUILDERS SPECIALTY INSURANCE COMPANY, RRG ("ProBuilders"); Defendant and Counter-Claimants TY LEVINE, KAREN LEVINE; and Defendant, Counter-Claimant and Third-Party Plaintiff RONALD J. HAAS ("Mr. Haas"); and Third-Party Defendant Certain Underwriters of Lloyds of London ("Lloyds") as follows:
See the concurrently filed "Declaration of James I. Silverstein in Support of Stipulation and [Proposed Order] Order to Continue the Deadline to Complete Alternative Dispute Resolution" for ProBuilders' counsel's explanation as to the need for this time extension.
The parties stipulate that the last date to complete Alternative Dispute Resolution, in this action, should be continued to January 27, 2012.
IT IS SO STIPULATED.
YARON & ASSOCIATES
GEORGE D. YARON
JAMES I. SILVERSTEN
HIELAM CHAN
Attorneys for Plaintiff and Counter-Defendant
PROBUILDER3 SPECIALTY INSURANCE
COMPANY, RRG
SILICON VALLEY LAW GROUP
KIM O. DINCEL
CHRISTOPHER G. LAI
Attorneys for Defendants
TY LEVINE AND KAREN LEVINE
RONALD J. HAAS
WILLOUGHBY, STUART AND BENNING
RANDALL WILLOUGHBY
Attorney for Third Party Defendant
CERTAIN UNDERWRITERS OF LLOYDS OF
LONDON
PURSUANT TO STIPULATION, IT IS SO ORDERED
UNITED STATES DISTRICT JUDGE
EDWARD J. DAV1LA
CERTIFICATE OF SERVICE
I am over 18 years of age and not a party to the within action. I am employed in the County of San Francisco; my business address is Yaron & Associates, 601 California Street, Suite 2100, San Francisco, California 94108.
On November 15, 2011, I served the within:
STIPULATION AND PROPOSED ORDER TO CONTINUE THE DEADLINE TO COMPLETE ALTERNATIVE DISPUTE RESOLUTIONon all parties in this action, as addressed below, by causing a true copy thereof to be distributed as follows:
DECLARATION OF JAMES I. SIL VERSTEIN INS SUPPORT OF ST6IPULATION AND [PROPOSED] ORDER TO CONTINUE THE DEADLINE TO COMPLETE ALTERNATIVE DISPUTE RESOLUTION
TO ALL PARTIES ON THE ECF SERVICE LIST
× VIA ELECTRONIC SERVICE: I served a true copy, with all exhibits, electronically on designated recipients through PACER. Upon completion of electronic transmission of said document(s), a receipt is issued to serving party acknowledging receipt by PACER's system. Once PACER has served all designated recipients, proof of electronic service is returned to the filing party which will be maintained with the original document(s) in our office. This service complies with CCP §101.6.
I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct, and that this declaration was executed on November 15, 2011, at San Francisco, California.
LYDIA BURTON