Filed: Apr. 19, 2019
Latest Update: Apr. 19, 2019
Summary: STIPULATION EXTENDING TIME FOR DEFENDANTS CALSAVERS RETIRMENT SAVINGS PROGRAM AND FIONA MA TO RESPOND TO PLAINTIFFS' FIRST AMENDED COMPLAINT [ECF No. 25]; ORDER MORRISON C. ENGLAND, JR. , District Judge . Plaintiffs Howard Jarvis Taxpayers Association, Jonathan Coupal and Debra Desrosiers and Defendants CalSavers Retirement Savings Program and Fiona Ma, in her official capacity as Chair of the CalSavers Retirement Savings Program, 1 hereby agree and stipulate as follows: 1. Plaintiffs' Fi
Summary: STIPULATION EXTENDING TIME FOR DEFENDANTS CALSAVERS RETIRMENT SAVINGS PROGRAM AND FIONA MA TO RESPOND TO PLAINTIFFS' FIRST AMENDED COMPLAINT [ECF No. 25]; ORDER MORRISON C. ENGLAND, JR. , District Judge . Plaintiffs Howard Jarvis Taxpayers Association, Jonathan Coupal and Debra Desrosiers and Defendants CalSavers Retirement Savings Program and Fiona Ma, in her official capacity as Chair of the CalSavers Retirement Savings Program, 1 hereby agree and stipulate as follows: 1. Plaintiffs' Fir..
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STIPULATION EXTENDING TIME FOR DEFENDANTS CALSAVERS RETIRMENT SAVINGS PROGRAM AND FIONA MA TO RESPOND TO PLAINTIFFS' FIRST AMENDED COMPLAINT [ECF No. 25]; ORDER
MORRISON C. ENGLAND, JR., District Judge.
Plaintiffs Howard Jarvis Taxpayers Association, Jonathan Coupal and Debra Desrosiers and Defendants CalSavers Retirement Savings Program and Fiona Ma, in her official capacity as Chair of the CalSavers Retirement Savings Program,1 hereby agree and stipulate as follows:
1. Plaintiffs' First Amended Complaint was filed on April 11, 2019.
2. Pursuant to Fed.R.Civ.P. 15(a)(3), a response to the First Amended Complaint is due to be filed on April 25, 2019.
3. Defendants have advised Plaintiffs that they intend to file a motion to dismiss the First Amended Complaint.
4. Due to an impending federal court trial, and other conflicts, counsel for Defendants will not be able to prepare the motion by the current April 25, 2019 response date, and have requested an additional 30 days in which to do so.
5. Plaintiffs have graciously agreed to Defendants' request for additional time.
6. Counsel for the parties therefore stipulate, by and through their respective counsel of record, that Defendants may have an additional 30 days, until May 25, 2019, to respond to the First Amended Complaint.
DATED: April 17, 2019 XAVIER BECERRA
Attorney General of California
PAUL STEIN
Supervising Deputy Attorney General
SHARON L. O'GRADY
Deputy Attorney General
TRUCKER ✦ HUSS
By: /s/Joseph C. Faucher
Joseph C. Faucher
R. Bradford Huss
Attorneys for Defendants
CALSAVERS RETIREMENT SAVINGS
PROGRAM AND FIONA MA
Dated: April 17, 2019. LAURA E. MURRAY
By: /s/LauraE.Murray
Laura E. Murray
Attorney for Plaintiffs
ORDER
IT IS SO ORDERED.