Opinion
Case Number: CV12-6071 HRL
05-03-2013
AMMIR UMAR, Plaintiff, v. CRAIG STORLIE, INDIVIDUALLY AND AS AN OFFICER OF THE SAN JOSE POLICE DEPARTMENT, and DOES 1-20, inclusive, Defendants.
RICHARD DOYLE, City Attorney SHANNON SMYTH-MENDOZA Senior Deputy City Attorney Attorneys for Defendant CRAIG STORLIE; individually and as an Officer of the SAN JOSE POLICE DEPARTMENT LAW OFFICES OF MORALES & LEANOS JAIME A. LEANOS Attorneys for Plaintiff AMMIR UMAR
RICHARD DOYLE, City Attorney (88625)
NORA FRIMANN, Assistant City Attorney (93249)
SHANNON SMYTH-MENDOZA, Senior Deputy City Attorney (188509)
Office of the City Attorney
200 East Santa Clara Street, 16th Floor
San José, California 95113-1905
Telephone Number: (408) 535-1900
Facsimile Number: (408) 998-3131
E-Mail Address: cao.main@sanjoseca.gov
Attorneys for CRAIG STORLIE; individually and as an
Officer of the SAN JOSE POLICE DEPARTMENT
STIPULATION EXTENDING THE
DEADLINE TO HOLD THE EARLY
NEUTRAL EVALUATION; AND
[PROPOSED] ORDER
Trial Date: None Set
Plaintiff and Defendant Craig Storlie in the above-entitled matter hereby stipulate and jointly request that the Court extend the original May 20, 2013 deadline to hold an Early Neutral Evaluation to June 3, 2013. In support of this stipulation, the parties hereby submit the following as good cause for granting this request:
1. Defendants' attorney has been assigned a trial in state court that is due to begin on May 20, 2013, the same date as the previously scheduled Early Neutral Evaluation, and will therefore be unable to attend the Early Neutral Evaluation.
2. Defendants are still awaiting the Court's order on its motion to dismiss.
Accordingly, the parties hereby jointly request that this Court extend the deadline to complete the Early Neutral Evaluation to June 3, 2013.
IT IS SO STIPULATED:
RICHARD DOYLE, City Attorney
By: ____________
SHANNON SMYTH-MENDOZA
Senior Deputy City Attorney
Attorneys for Defendant CRAIG STORLIE;
individually and as an Officer of the
SAN JOSE POLICE DEPARTMENT
I attest that Plaintiff has approved and signed this document, and given consent to the filing of the same with the court.
LAW OFFICES OF MORALES & LEANOS
By: ____________
JAIME A. LEANOS
Attorneys for Plaintiff
AMMIR UMAR
ORDER
Based upon the Stipulation of the parties, and good cause appearing therefor, the Court hereby extends the deadline to hold an Early Neutral Evaluation in this case to June 3, 2013.
_____________________
HONORABLE HOWARD R. LLOYD
UNITED STATES DISTRICT COURT