Geheran v. Golden Gate National Recreation Area, C 17-1383 KAW. (2017)
Court: District Court, N.D. California
Number: infdco20170627963
Visitors: 12
Filed: Jun. 26, 2017
Latest Update: Jun. 26, 2017
Summary: STIPULATION TO SUBSTITUTE THE UNITED STATES AS DEFENDANT, AND TO EXTEND DATES IN CASE MANAGEMENT SCHEDULING ORDER [PROPOSED] ORDER AS MODIFIED KANDIS A. WESTMORE , Magistrate Judge . STIPULATION Plaintiff filed this action on March 14, 2017, naming the Golden Gate National Recreation Area as Defendant. ECF 1. The United States is the only proper defendant in an action brought under the Federal Tort Claims Act, 28 U.S.C. 2679(a); Kennedy v. U.S. Postal Service, 145 F.3d 1077 , 10
Summary: STIPULATION TO SUBSTITUTE THE UNITED STATES AS DEFENDANT, AND TO EXTEND DATES IN CASE MANAGEMENT SCHEDULING ORDER [PROPOSED] ORDER AS MODIFIED KANDIS A. WESTMORE , Magistrate Judge . STIPULATION Plaintiff filed this action on March 14, 2017, naming the Golden Gate National Recreation Area as Defendant. ECF 1. The United States is the only proper defendant in an action brought under the Federal Tort Claims Act, 28 U.S.C. 2679(a); Kennedy v. U.S. Postal Service, 145 F.3d 1077 , 107..
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STIPULATION TO SUBSTITUTE THE UNITED STATES AS DEFENDANT, AND TO EXTEND DATES IN CASE MANAGEMENT SCHEDULING ORDER [PROPOSED] ORDER AS MODIFIED
KANDIS A. WESTMORE, Magistrate Judge.
STIPULATION
Plaintiff filed this action on March 14, 2017, naming the Golden Gate National Recreation Area as Defendant. ECF 1. The United States is the only proper defendant in an action brought under the Federal Tort Claims Act, 28 U.S.C. § 2679(a); Kennedy v. U.S. Postal Service, 145 F.3d 1077, 1078 (9th Cir. 1998). Accordingly, the parties hereby stipulate to the substitution of the United States as defendant in this matter.
In addition, undersigned counsel for the United States is not available on August 15, 2017, the currently scheduled date for the case management conference. Accordingly, the parties hereby stipulate to extend the case management scheduling dates as follows:
July 25, 2017: Last day to:
• Meet and confer re: initial disclosures, early settlement, ADR process selection, and discovery plan;
• File ADR certification signed by parties and counsel;
• File either Stipulation to ADR process or notice of need for ADR phone conference.
August 15, 2017: Last day to file Rule 26(f) Report, complete initial disclosures or state objection in Rule 26(f) Report and file Case Management Statement per Standing Order re Contents of Joint Case Management Statement.
August 22, 2017: INITIAL CASE MANAGEMENT CONFERENCE (CMC) at 1:30 PM in:
3rd Floor
Ronald Dellums Federal Building
1301 Clay Street
Oakland, California 94612
[PROPOSED ] ORDER
Pursuant to stipulation, IT IS SO ORDERED.
The United States is hereby substituted as Defendant in the place of the Golden Gate National Recreation Area.
The case management schedule is hereby extended to the following dates:
July 25, 2017: Last day to:
• Meet and confer re: initial disclosures, early settlement, ADR process selection, and discovery plan;
• File ADR certification signed by parties and counsel;
• File either Stipulation to ADR process or notice of need for ADR phone conference.
August 15, 2017: Last day to file Rule 26(f) Report, complete initial disclosures or state objection in Rule 26(f) Report and file Case Management Statement per Standing Order re Contents of Joint Case Management Statement.
September 12, 2017: INITIAL CASE MANAGEMENT CONFERENCE (CMC) at 1:30 PM in:
Courtroom 4, 3rd Floor
Ronald Dellums Federal Building
1301 Clay Street
Oakland, California 94612
Source: Leagle