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Sullivan v. U.S., 2:18-cv-03066-MCE-CKD. (2019)

Court: District Court, E.D. California Number: infdco20190522891 Visitors: 20
Filed: May 21, 2019
Latest Update: May 21, 2019
Summary: STIPULATION TO FURTHER EXTEND TIME TO RESPOND TO COMPLAINT AND COMPLETE RULE 26(f) CONFERENCE; ORDER THEREON MORRISON C. ENGLAND, JR. , District Judge . RECITALS WHEREAS, on November 27, 2018, Plaintiff James J. Sullivan III, et al. ("Sullivan") commenced the above-captioned action by filing a Complaint to Quiet Title and for Declaratory Relief ("Complaint") against Defendants United States of America ("United States") and Union Pacific Railroad Company ("Union Pacific"). (ECF No. 1.) WH
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STIPULATION TO FURTHER EXTEND TIME TO RESPOND TO COMPLAINT AND COMPLETE RULE 26(f) CONFERENCE; ORDER THEREON

RECITALS

WHEREAS, on November 27, 2018, Plaintiff James J. Sullivan III, et al. ("Sullivan") commenced the above-captioned action by filing a Complaint to Quiet Title and for Declaratory Relief ("Complaint") against Defendants United States of America ("United States") and Union Pacific Railroad Company ("Union Pacific"). (ECF No. 1.)

WHEREAS, on December 21, 2018, Sullivan and Union Pacific filed a Stipulation Extending Time to Respond to the Complaint, extending Union Pacific's time to respond to January 23, 2019. (ECF No. 6.)

WHEREAS, on January 2, 2019 the United States filed a Notice of Related Case noticing the parties that the factual and legal issues in this case are virtually the same as in case 18-cv-01865, also pending before this court. (ECF No. 7.)

WHEREAS, since early January 2019, respective counsel for Sullivan, the United States and Union Pacific have been meeting and conferring regarding the action in an effort to reach an amicable resolution of this matter.

WHEREAS, in light of the parties' settlement efforts, and upon the stipulations of the parties, the Court extended the time for the United States and Union Pacific to respond to the Complaint to May 21, 2019, and continued the deadline for the parties to meet and confer as required by Federal Rule of Civil Procedure 26(f) to June 24, 2019. (ECF Nos. 9, 11, 12.)

WHEREAS, in the related case, Dimension vs the United States (18-cv-01865) the Court extended the time for the United States to respond to the Complaint to May 21, 2019, and that the parties shall have until June 24, 2019, to meet and confer as required by Federal Rule of Civil Procedure 26(f) regarding their discovery plan. (18-cv-01865; ECF 13.)

WHEREAS, respective counsel for Sullivan, Union Pacific and the United States intend to continue engaging in discussions and efforts aimed at reaching a non-judicial resolution of this matter, which now include, but are not limited to, potential legislative efforts that will moot the action.

WHEREAS, in light of these ongoing settlement efforts, Sullivan, Union Pacific and the United States agree that (1) the time for Union Pacific to respond to the Complaint should be further extended September 23, 2019, (2) the time for the United States to respond to the Complaint should be extended to September 23, 2019, and (3) the deadline for the parties to meet and confer as required by Federal Rule of Civil Procedure 26(f) should be further continued to October 28, 2019.

STIPULATION

IT IS HEREBY STIPULATED by and between Sullivan, by and through its counsel of record, Gordon W. Egan of Signature Law Group, LLP, Union Pacific, by and through its counsel of record, Nancy J. Johnson of Berliner Cohen, and the United States, by and through its counsel of record, Joseph B. Frueh, Assistant United States Attorney, that (1) Union Pacific shall have until September 23, 2019, to respond to the Complaint in the above-captioned action, (2) the United States shall have until September 23, 2019, to respond to the Complaint in the above-captioned action, and (3) the parties shall have until October 28, 2019, to meet and confer as required by Federal Rule of Civil Procedure 26(f) regarding their discovery plan.

Dated: May 17, 2019. SIGNATURE LAW GROUP LLP By:/s/Gordon W. Egan GORDON W. EGAN Attorney for James J. Sullivan III, et al Dated: May 17, 2019. By:/s/Joseph B. Frueh (as authorized on 5-17-2019) JOSEPH B. FRUEH Assistant United States Attorney Attorneys for Defendant UNITED STATES OF AMERICA Dated: May 17, 2019. BERLINER COHEN, LLP By:/S/Nancy J. Johnson (as authorized on 5-17-2019) NANCY J. JOHNSON Attorneys for Defendant Union Pacific Railroad Company

ORDER

Pursuant to the foregoing stipulation between the parties, the Defendants shall have until September 23, 2019, to respond to the Complaint in the above-captioned action, and the parties shall have until October 28, 2019, to meet and confer as required by Federal Rule of Civil Procedure 26(f) regarding their discovery plan.

IT IS SO ORDERED.

Source:  Leagle

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