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Sanduski v. Charles Schwab & Co., 2:19-cv-01340-JAD-BNW. (2020)

Court: District Court, D. Nevada Number: infdco20200108b32 Visitors: 12
Filed: Jan. 06, 2020
Latest Update: Jan. 06, 2020
Summary: STIPULATION RE: WAIVER OF SERVICE AND BRIEFING SCHEDULE ON PETITION TO VACATE ARBITRATION AWARD AND COUNTERMOTION TO CONFIRM ARBITRATION AWARD; [PROPOSED] ORDER THEREON ECF No. 15, 19 JENNIFER A. DORSEY , District Judge . WHEREAS, Plaintiff THOMAS J. SANDUSKI, on behalf of himself, and Respondent CHARLES SCHWAB & CO., INC. ("Schwab"), by and through its counsel of record herein, have met and conferred and hereby agree and stipulate as follows: 1. Thomas J. Sanduski has filed a Petition to
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STIPULATION RE: WAIVER OF SERVICE AND BRIEFING SCHEDULE ON PETITION TO VACATE ARBITRATION AWARD AND COUNTERMOTION TO CONFIRM ARBITRATION AWARD; [PROPOSED] ORDER THEREON

ECF No. 15, 19

WHEREAS, Plaintiff THOMAS J. SANDUSKI, on behalf of himself, and Respondent CHARLES SCHWAB & CO., INC. ("Schwab"), by and through its counsel of record herein, have met and conferred and hereby agree and stipulate as follows:

1. Thomas J. Sanduski has filed a Petition to Vacate Arbitration Award issued on May 9, 2019 in the matter of Charles Schwab & Co., Inc. v. Thomas J. Sanduski, FINRA Case No. 18-01513 (the "Award");

2. Schwab intends to move to confirm the Award;

3. Schwab has received a copy of the Petition to Vacate. Schwab agrees to waive formal service of the Petition pursuant to Federal Rules of Civil Procedure 4 and 5;

4. Schwab will file its Opposition to Petition to Vacate and Countermotion to Confirm Arbitration Award on or before December 13, 2019;

5. Mr. Sanduski will file his Reply in Support of Petition to Vacate and Opposition to Schwab's Countermotion to Confirm Arbitration Award on or before January 3, 2020;

6. Schwab will file its Reply Brief in Support of Countermotion to Confirm Arbitration Award on or before January 13, 2020;

7. Mr. Sanduski and Schwab each reserve the right to seek oral argument on this matter, pursuant to L.R. 78-1.

8. The parties agree to file documents using the court's Electronic Court Filing system (ECF), to the extent possible, or in any other manner permitted by the United States District Court. Service of papers shall be accomplished electronically via the court's ECF system, if possible. In addition, the parties agree to serve each other with courtesy copies of all court papers via e-mail. Service via e-mail shall be made to the opposing party on the same calendar day that the papers are filed with the court. Mr. Sanduski agrees to accept service via e-mail at the following address: tomskilv@yahoo.com. Schwab's counsel agrees to accept service via e-mail at the following address: stacey.garrett@kyl.com.

IT IS SO STIPULATED.

DATED this 11th day of December, 2019. KEESAL, YOUNG & LOGAN /s/ Thomas J. Sanduski /s/ Stacey M. Garrett Thomas J. Sanduski Stacey M. Garrett, Esq., NVSB No. 5077 8749 Potenza Lane 400 Oceangate PO Box 646 Long Beach, California 90802 Las Vegas, Nevada 89117 Telephone: (562) 436-2000 Telephone: (702) 363-9115 Facsimile: (562) 436-7416 Plaintiff Pro Se Attorneys for Respondent Charles Schwab & Co., Inc.

ORDER

Based on the parties' stipulation [ECF No. 15], IT IS SO ORDERED.

IT IS FURTHER ORDERED that the duplication version of this stipulation, filed at ECF No. 19 is DENIED as moot.

Source:  Leagle

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