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Robert Watts, On Behalf of Himself Individually and All Other Similarly Situated v. Allstate Indemnity Company

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA SACRAMENTO DIVISION


July 18, 2011

ROBERT WATTS, ON BEHALF OF HIMSELF INDIVIDUALLY AND ALL OTHER SIMILARLY SITUATED, PLAINTIFF,
v.
ALLSTATE INDEMNITY COMPANY, AN ILLINOIS CORPORATION,
ALLSTATE INSURANCE COMPANY, AN ILLINOIS CORPORATION, ALLSTATE PROPERTY AND CASUALTY INSURANCE COMPANY, AN ILLINOIS CORPORATION; AND DOES 1 THROUGH 100, INCLUSIVE, DEFENDANTS.

The opinion of the court was delivered by: Judge: Hon. Lawrence K. Karlton

WENDY C. YORK (State Bar No. 166864) JENNIFER B. EULER (State Bar No. 232378) YORK LAW CORPORATION 1111 Exposition Boulevard, Building 500 Sacramento, CA 95815 Telephone: (916) 643-2200 Facsimile: (916) 643-4680 Email: wyork@yorklawcorp.com jeuler@yorklawcorp.com KIMBERLY A. KRALOWEC, (State Bar No. 163158) THE KRALOWEC LAW GROUP 188 The Embarcadero, Suite 800 San Francisco, California 94105 Telephone: (415) 546-6800 Facsimile: (415) 546-6801 Email: kkralowec@kraloweclaw.com Attorneys for Plaintiff ROBERT WATTS MARK HANOVER (Pro Hoc Vice) SONIA MARTIN (State Bar No. 191148) SONNENSCHEIN NATH & ROSENTHAL LLP 2121 North California Blvd., Suite 800 Walnut Creek, CA 94596 Telephone: (925) 949-2600 Facsimile: (925) 949-2610 Email: smartin@sonnenschein.com mhanover@sonnenschein.com Attorneys for Defendants ALLSTATE INDEMNITY COMPANY, ALLSTATE INSURANCE COMPANY, and ALLSTATE PROPERTY AND CASUALTY INSURANCE COMPANY

STIPULATION AND ORDER TO EXTEND PLAINTIFF'S DEADLINE TO FILE OBJECTIONS AND MOTION TO TAX COSTS Place: Courtroom 4, 15th Floor

Plaintiff Robert Watts and Defendants Allstate, by and through their respective counsel of record, hereby stipulate and agree as follows:

WHEREAS, the Court entered judgment in the present action on May 12, 2011 against Robert Watts;

WHEREAS, Defendants filed a Bill of Costs on May 26, 2011 pursuant to Local Rule 292; WHEREAS, Plaintiff will file objections to Defendants' Bill of Costs;

WHEREAS, the parties entered into a stipulation to extend Plaintiff's deadline to file his objections and motion to tax costs on May 31, 2011;

WHEREAS, this Court signed the stipulation on June 2, 2011 extending Plaintiff's deadline to July 18, 2011;

WHEREAS, Plaintiff subsequently filed a motion for a new trial which is scheduled to be heard August 15, 2011;

WHEREAS, Defendants do not oppose Plaintiff's request that the Court extend Plaintiff's deadline(s) to file said objections and/or motion until September 15, 2011;

WHEREAS, Federal Rule of Civil Procedure Rule 6(b) allows the Court to extend time, for good cause, if the request to extend time is made before the original time expires;

IT IS HEREBY STIPULATED that, with the Court's approval, Plaintiff may object to Defendants' Bill of Costs and file a motion to tax costs up to and including September 15, 2011.

IT IS SO STIPULATED.

Respectfully submitted,

IT IS SO ORDERED.

20110718

© 1992-2011 VersusLaw Inc.



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