Filed: Aug. 02, 2016
Latest Update: Aug. 02, 2016
Summary: STIPULATION TO CONTINUE HEARING DATES AND ASSOCIATED DEADLINES WILLIAM H. ORRICK , District Judge . The parties, plaintiff BERKLEY ASSURANCE COMPANY and defendants CSV HOSPITALITY MANAGEMENT LLC, 445 O'FARRELL STREET LLC, SURESH PATEL, and SAILESH DVEDHARA, by and through their respective counsel, hereby notify the Court that because they expect settlement to be finalized within the next 10 days, the parties hereby stipulate to continuing Defedants' FRCP 12(b)(6) motion and the case managem
Summary: STIPULATION TO CONTINUE HEARING DATES AND ASSOCIATED DEADLINES WILLIAM H. ORRICK , District Judge . The parties, plaintiff BERKLEY ASSURANCE COMPANY and defendants CSV HOSPITALITY MANAGEMENT LLC, 445 O'FARRELL STREET LLC, SURESH PATEL, and SAILESH DVEDHARA, by and through their respective counsel, hereby notify the Court that because they expect settlement to be finalized within the next 10 days, the parties hereby stipulate to continuing Defedants' FRCP 12(b)(6) motion and the case manageme..
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STIPULATION TO CONTINUE HEARING DATES AND ASSOCIATED DEADLINES
WILLIAM H. ORRICK, District Judge.
The parties, plaintiff BERKLEY ASSURANCE COMPANY and defendants CSV HOSPITALITY MANAGEMENT LLC, 445 O'FARRELL STREET LLC, SURESH PATEL, and SAILESH DVEDHARA, by and through their respective counsel, hereby notify the Court that because they expect settlement to be finalized within the next 10 days, the parties hereby stipulate to continuing Defedants' FRCP 12(b)(6) motion and the case management conference to September 14 at 9:00 a.m., and all associated deadlines continued in accordance with the new date.
IT IS SO STIPULATED.
Date: August 2, 2016 ZACKS, FREEDMAN & PATTERSON, PC
/s/ James B. Kraus
By: James B. Kraus
Counsel for Defendants
DATE: August 2, 2016 HINSHAW & CULBERTSON LLP
See attached email
MARIA S. QUINTERO
TRAVIS WALL
Attorneys for Plaintiff BERKLEY
ASSURANCE COMPANY
From: MQuintero@hinshawlaw.com
Sent: Tuesday, August 02, 2016 3:45 PM
To: James B. Kraus
Cc: twall@mail.hinshawlaw.com
Subject: RE: Winton Hotel — Stip re Settlement & Motion — Needs to be Filed Today
9/14 is available — ok to move to this date
Maria S. Quintero
Partner
Hinshaw & Culbertson LLP
One California St. 18th Floor, San Francisco, CA 94111
Tel: 415-362-6000; 415-263-8153 Fax: 415-834-9070
E-mail: MQuintero@hinshawlaw.com
www.hinshawlaw.com
HINSHAW
& CULBERTSON LLP
From: "James B. Kraus" <James@zfplaw.com>
To: "MQuintero@hinshawlaw.com" <MQuintero@hinshawlaw.com>,
Cc: "twall@mail.hinshawlaw.com" <twall@mail.hinshawlaw.com>
Date: 08/02/2016 03:34 PM
Subject: RE: Winton Hotel — Stip re Settlement & Motion — Needs to be Filed Today
Maria,
I just spoke with Judge Orrick's courtroom deputy. She said we could stipulate to continuing the 12(b)(6) and the CMC to September 14 and the associated deadlines accordingly. Do you stipulate to doing this? If so, I will attach your return email to the stip/order.
James
James B. Kraus Zacks, Freedman & Patterson, PC
From: MQuintero@hinshawlaw.com [mailto:MQuintero@hinshawlaw.com] Sent: Tuesday, August 02, 2016 2:55 PM To: James B. Kraus <James@zfplaw.com> Cc: twall@mail.hinshawlaw.com Subject: RE: Winton Hotel — Stip re Settlement & Motion — Needs to be Filed Today
The continuance request is fine but to be valid per local rules the request needs to be on file today (before tomorrow's opp deadline). plaintiff does not have to sign off on it let me know you'll be filing it today and we will hold off filing the opp
ORDER GRANTING PARTIES' STIPULATION TO CONTINUE HEARING DATES AND ASSOCIATED DEADLINES
Pursuant to the parties' August 2, 2016 stipulation, the Court hereby continues Defendants' Rule 12(b)(6) motion from August 24 to September 14 and the case management conference from August 30 to September 14, both at 9:00 a.m.
IT IS SO ORDERED.