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Rutledge v. County of Sonoma

UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION


July 23, 2008

ZACHARIAH JUDSON RUTLEDGE, PLAINTIFF,
v.
COUNTY OF SONOMA, MICHAEL POTTS, RUSSEL L. DAVIDSON, JAMES PATRICK CASEY, CHRISTINE M. COOK, BEAU R. MARTIN, J. MICHAEL MULLINS, STEPHAN R. PASSALACQUA, GREG JACOBS, SONOMA COUNTY SHERIFF'S DEPARTMENT, SONOMA COUNTY DISTRICT ATTORNEY'S OFFICE, AND DOES 1 THROUGH 40. DEFENDANTS.

The opinion of the court was delivered by: Hon. Claudia Wilken United States District Court Judge

STIPULATION & ORDER FOR CONTINUENCE OF DUE DATE OF THIRD AMENDED COMPLAINT AND SUBSEQUENT MOTIONS TO DISMISS

STIPULATION

Defendants, County of Sonoma, Sonoma County Sheriff's Department, Sonoma County District Attorney's Office, Stephan Passalacqua, J. Michael Mullins, Greg Jacobs, Christine M. Cook, Russel L. Davidson, James Patrick Casey, and Detective Beau M. Martin, through Counsel, Bonnie A. Freeman, Defendant Michael Potts, through Counsel, John P. Devine, Deputy Attorney General,and Plaintiff, Zachariah Rutledge, through Counsel, E. D. Lerman, hereby stipulate to continue the due date of Plaintiff's THIRD AMENDED COMPLAINT currently set for July 20, 2008, to August 4, 2008, and to continue FCMC set for 9/2/08 at 2:00 p.m. to 9/16/08 at 2:00 and to continue the hearing date for any motion to dismiss that currently should be noticed for 9/2/08, to 9/16/08 at 2:00.

We hereby stipulate to the above described continuance:

Respectfully submitted,

Dated: July 18, 2008

ORDER

Satisfactory proof having been made and good cause appearing,

IT IS ORDERED THAT:

The due date for THIRD AMEMDED COMPLAINT currently set for July 20, 2008, is continued to August 4, 2008;

And, to continue FCMC set for 9/2/08 at 2:00 p.m. and the hearing date for any motion to dismiss that currently should be noticed for 9/2/08, is continued to September 16, 2008 at 2:00 p.m.

DECLARATION OF SERVICE

I, Editte D. Lerman, declare as follows:

I am a resident of the State of California, residing or employed in Mendocino, California.

I am over the age of 18 years and am not a party to the above-entitled action. My business address is 45060 Ukiah Street P.O. Box 802, Mendocino C.A. 95460.

On July 18, 2008,

STIPULATION & ORDER FOR CONTINUENCE OF DUE DATE OF THIRD AMENDED COMPLAINTAND SUBSEQUENT MOTIONS TO DISMISS was filed and served upon the following parties via the Court's PACER-ECF electronic filing system.

Attorneys for Defendant Michael Potts EDMUND G BROWN, JR. Attorney General of the State of California JOHN P. DEVINE, ESQ. Deputy Attorney General of the State of California California Department of Justice 455 Golden Gate Avenue, Suite 11000 San Francisco, CA 94102-7004 Attorneys for Defendants County of Sonoma, Sonoma County Sheriff's Department, Sonoma County District Attorney's Office, Stephan Passalacqua, J. Michael Mullins, Greg Jacobs, Christine M. Cook, Russel L. Davidson, James Patrick Casey, and Detective Beau M. Martin Michael D. Senneff Bonnie A. Freeman SENNEFF FREEMAN & BLUESTONE, LLP 50 Old Courthouse Square, Suite 401 P.O. Box 3727 Santa Rosa, CA 95402-372921

I declare under penalty of perjury that the foregoing is true and correct and that this declaration was executed this 18th day of July, 2008, at Mendocino, California.

Edite Lerman

20080723

© 1992-2008 VersusLaw Inc.



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