Smith v. U.S., 15-cv-00116 RSL. (2017)
Court: District Court, D. Washington
Number: infdco20170712845
Visitors: 16
Filed: Jun. 08, 2017
Latest Update: Jun. 08, 2017
Summary: JOINT STATUS REPORT AND REQUEST TO STAY TRIAL DEADLINES FOR AN ADDITIONAL THIRTY-FIVE (35) DAYS ROBERT S. LASNIK , District Judge . COMES NOW Defendant, United States of America, by and through its counsel, and Emmett L. Smith, by and through his counsel, and notifies the Court, pursuant to Dkt. No. 53, that the parties have reached a settlement, and the United States is currently pursuing final approval of that settlement through the Department of Justice. The United States anticipates nee
Summary: JOINT STATUS REPORT AND REQUEST TO STAY TRIAL DEADLINES FOR AN ADDITIONAL THIRTY-FIVE (35) DAYS ROBERT S. LASNIK , District Judge . COMES NOW Defendant, United States of America, by and through its counsel, and Emmett L. Smith, by and through his counsel, and notifies the Court, pursuant to Dkt. No. 53, that the parties have reached a settlement, and the United States is currently pursuing final approval of that settlement through the Department of Justice. The United States anticipates need..
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JOINT STATUS REPORT AND REQUEST TO STAY TRIAL DEADLINES FOR AN ADDITIONAL THIRTY-FIVE (35) DAYS
ROBERT S. LASNIK, District Judge.
COMES NOW Defendant, United States of America, by and through its counsel, and Emmett L. Smith, by and through his counsel, and notifies the Court, pursuant to Dkt. No. 53, that the parties have reached a settlement, and the United States is currently pursuing final approval of that settlement through the Department of Justice. The United States anticipates needing several additional weeks to finalize this process, and therefore the parties jointly parties request that this Court stay all trial deadlines for an additional thirty-five (35) days in order to allow the parties to pursue a final settlement of this matter. The parties agree to either dismiss the matter or file an additional joint status report by July 10, 2017.
DATED this 2nd day of June 2017.
Russo & Graham ANNETTE L. HAYES
United States Attorney
/s/ Anthony A. Russo /s/ Jessica M. Andrade
ANTHONY A. RUSSO, WSBA# 43065 JESSICA M. ANDRADE, WSBA #39297
CARL-ERICH KRUSE, WSBA# 45964
RUSSO & GRAHAM /s/ Tricia Boerger
2033 6th Ave, Ste. 988 TRICIA BOERGER, WSBA # 38581
Seattle, WA 98121 Assistant United States Attorney
E-mail: tony@russograham.com Western District of Washington
carl-erich@russograham.com United States Attorney's Office
700 Stewart Street, Suite 5220
Attorneys for Plaintiff Seattle, Washington 98101-1271
Phone: 206-553-7970
E-mail: jessica.andrade@usdoj.gov
Attorneys for Defendant
ORDER
The parties having so stipulated and agreed, it is hereby ORDERED that all trial deadlines are hereby stayed for an additional thirty-five (35) days, and the parties shall either dismiss the matter or file an additional joint status report by July 10, 2017.
Source: Leagle