Opinion
1:09-CV-01788-OWW-SMS
09-08-2011
UNITED STATES OF AMERICA, Plaintiff, v. APPROXIMATELY $18,289.25 IN U.S. CURRENCY SEIZED FROM WELLS FARGO BANK ACCOUNT NUMBER 6656258958, HELD IN THE NAME OF WONG CORPORATION DBA W. FOOD AND LIQUOR, Defendants Allan Wong, Claimant.
BENJAMIN B. WAGNER United States Attorney HEATHER MARDEL JONES Assistant United States Attorney Attorneys United States BENJAMIN B. WAGNER United States Attorney HEATHER MARDEL JONES Assistant United States Attorney MARK W. KING Attorney for Claimant Allan Wong
BENJAMIN B. WAGNER
United States Attorney
HEATHER MARDEL JONES
Assistant United States Attorney
Attorneys United States
STIPULATION TO CONTINUE SCHEDULING DATES AND ORDER THEREON
(Second Request)
Claimant Allan Wong and plaintiff United States of America, by and through their undersigned attorneys, hereby stipulate as follows:
1. This stipulation is executed by all litigating parties who have appeared in and are affected by this action.
2. The parties are requesting an extension of the dates set out in the Scheduling Conference Order issued April 9, 2010. Since the time of the initial scheduling conference the parties have attempted to resolve the case through informal means. Recently claimant Allan Wong retained the assistance of attorney Mark W. King for this matter and the parties are in need of additional time to continue with settlement discussions. This is the parties' second request for an extension.
3. The following dates are agreed on by the parties:
+----------------------------------------------------------+ ¦Event ¦Existing Date ¦Proposed Date ¦ +---------------------+------------------+-----------------¦ ¦Settlement Conference¦September 20, 2011¦October 13, 2011 ¦ +---------------------+------------------+-----------------¦ ¦Pre-Trial Conference ¦September 12, 2011¦October 24, 2011 ¦ +---------------------+------------------+-----------------¦ ¦Trial ¦October 18, 2011 ¦November 29, 2011¦ +----------------------------------------------------------+
Respectfully submitted,
BENJAMIN B. WAGNER
United States Attorney
HEATHER MARDEL JONES
Assistant United States Attorney
MARK W. KING
Attorney for Claimant Allan Wong
ORDER
Good cause having been shown and based on this stipulation, IT IS HEREBY ORDERED that the current Scheduling Order dates are vacated in favor of the new dates listed above.
IT IS SO ORDERED.
Oliver W. Wanger
UNITED STATES DISTRICT JUDGE