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SNEEDE v. SEBELIUS, 89-CV-1932 (TEH). (2013)

Court: District Court, N.D. California Number: infdco20130802743 Visitors: 19
Filed: Jul. 31, 2013
Latest Update: Jul. 31, 2013
Summary: STIPULATION TO ENLARGE TIME TO ADDRESS DEFENDANT SEBELIUS'S MOTION FOR RELIEF FROM JUDGMENT; [PROPOSED] ORDER THELTON E. HENDERSON, District Judge. This stipulation to enlarge time is being filed pursuant to L.R. 6-2. Defendant Sebelius filed a Notice of Motion and Motion for Relief from Judgment on July 22, 2013 (D.E. 309). By operation of L.R. 7-3, responses are due 14 days later, August 5, 2013. WHEREAS in 1990, the Court entered a Ninth Circuit-wide injunction prohibiting the Defend
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STIPULATION TO ENLARGE TIME TO ADDRESS DEFENDANT SEBELIUS'S MOTION FOR RELIEF FROM JUDGMENT; [PROPOSED] ORDER

THELTON E. HENDERSON, District Judge.

This stipulation to enlarge time is being filed pursuant to L.R. 6-2. Defendant Sebelius filed a Notice of Motion and Motion for Relief from Judgment on July 22, 2013 (D.E. 309). By operation of L.R. 7-3, responses are due 14 days later, August 5, 2013.

WHEREAS in 1990, the Court entered a Ninth Circuit-wide injunction prohibiting the Defendants, when determining Medicaid eligibility, from automatically deeming income or resources of any individual other than a parent of a child who is under 21, blind or disabled, or a spouse (D.E. 309-1).

WHEREAS since that time, Medicaid determinations have occurred pursuant to the injunction.

WHEREAS Plaintiffs' lead counsel, Evelyn R. Frank, passed away.

WHEREAS the Affordable Care Act was enacted into law.

WHEREAS Plaintiffs' counsel need time to become familiar with the case history and holdings in order to respond adequately to the Defendant's motion.

THEREFORE, THE PARTIES HEREBY STIPULATE THAT the Court issue an order to enlarge time for addressing Defendant Sebelius's Motion for Relief from Judgment and that all Responses to Defendant Sebelius's Motion for Relief from Judgment will be filed by August 30, 2013; Defendant Sebelius will file her Reply by September 12, 2013; the hearing date is proposed for September 16, 2013.

Date: July 31, 2013 Respectfully submitted, /s/Hadara Stanton Hadara Stanton Deputy Attorney General California Department of Justice Office of the Attorney General 455 Golden Gate Ave., Ste. 11000 San Francisco, C.A. 94102-7004 Tel.: (415) 703-5561 Fax: (415) 703-5480 Email: Hadara.Stanton@doj.ca.gov /s/Justin M. Sandberg Justin M. Sandberg Trial Attorney United State Department of Justice Civil Division, Federal Programs Branch 20 Mass. Ave., N.W., Room7302 Washington, D.C. 20001 Tel.: (202) 514-5838 Fax: (202) 616-8202 Email: Justin.Sandberg@usdoj.gov

[PROPOSED] ORDER

PURSUANT TO STIPULATION OF THE PARTIES ABOVE, and good cause appearing, the Court hereby issues an order to enlarge time to address Defendant Sebelius's Motion for Relief from Judgment such that all Responses to Defendant Sebelius's Motion for Relief from Judgment shall now be filed by August 30, 2013; any Reply by Defendant Sebelius in support of her Motion for Relief from Judgment shall be filed by September 12, 2013; the hearing will be set for September 30, 2013.

IT IS SO ORDERED.

Source:  Leagle

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