Opinion
Case No.:C09 02842 PJH
10-14-2011
Elizabeth A. Skane (State Bar No. 187752) Jennifer McCune (State Bar No. 160089) SKANE & WILCOX LLP Attorneys for Defendant COMMERCIAL RECOVERY SYSTEMS, INC.
Elizabeth A. Skane (State Bar No. 187752)
Jennifer McCune (State Bar No. 160089)
SKANE & WILCOX LLP
Attorneys for Defendant
COMMERCIAL RECOVERY SYSTEMS, INC.
STIPULATION AND [PROPOSED] ORDER FURTHER EXTENDING
DEADLINE TO FILE MOTION FOR SUMMARY JUDGMENT
WHEREAS, the date for Defendant Commercial Recovery Systems, Inc. ("CRS") to file a motion for summary judgment is currently set for October 17, 2011;
WHEREAS, Defendant has requested from plaintiff a two week extension of time to file its motion for summary judgment and plaintiff has agreed to the proposed extension. The parties therefore stipulate that CRS shall have until October 31, 2011 to file its motion for summary judgement.
SO STIPULATED
LAW OFFICE OF WILLIAM E. KENNEDY
William E. Kennedy
Attorneys for Plaintiff JORGE SOTO and the Proposed Classes
SKANE WILCOX LLP
Jennifer McCune
Attorneys for Defendant Commercial Recovery Systems, Inc.
ATTESTATION PURSUANT TO GENERAL ORDER 45
Jennifer McCune, attests that concurrence in the filing of this document has been obtained from the other signatories.
I declare under penalty of perjury that the foregoing is true and correct.
Executed on October 12, 2011 at San Francisco, California.
SKANE WILCOX
Jennifer McCune
Attorneys for Defendant Commercial Recovery Systems, Inc.
ORDER
Pursuant to stipulation, CRS's deadline for filing a summary judgment motion is October 31,2011.
Hon. Phyllis J. Hamilton