The opinion of the court was delivered by: Honorable Maxine M. Chesney United States District Court Judge
DATES RELATING TO STIPULATION TO CONTINUE ALL RESPONDENT'S MOTION FOR ATTORNEYS' FEES; [PROPOSED] ORDER
Pursuant to Federal Rules of Civil Procedure 54, and Civil Local Rules 54-5 and 6-2, the Parties to the above-captioned matters, by and through the undersigned counsel, hereby stipulate 3 to continue all dates relating to the motion for attorneys' fees filed by Respondent Stationary 4 15, 2012, to allow the parties time to finalize a settlement, obtain approval of the Parties' 6 respective governing boards and execute all necessary settlement documents. The City Council 7 for the Petitioner City of Colfax will consider the proposed settlement at either its May 23, 2012 8 or June 13, 2012 meeting, depending upon when the Parties complete the necessary settlement 9 documents. It is anticipated that the settlement will be finalized by June 30, 2012.
Engineers Local 39 Health and Welfare Trust Fund ("Trust Fund"), currently scheduled for June 5 In light of the foregoing, the Parties stipulate to: (1) continue the hearing on the Respondent Trust Fund's motion for attorneys for at least 40 days to July 27, 2012; (2) continue 12 the deadline to file the Petitioner City of Colfax's opposition papers to fourteen calendar days 13 prior to said hearing date; and (c) continue the deadline to file the Respondent Trust Fund's reply 14 papers to seven calendar days prior to said hearing date.
With this stipulation, the Parties respectfully request that the Court: (1) continue the June 15, 2012 hearing date on Respondent's motions for attorneys' fee consistent with the above 17 stipulation; (2) extend the deadline for the Petitioner City of Colfax to file its opposition papers to 18 fourteen calendar days prior to said hearing date; and (c) extend the deadline for the Respondent
Dated: May 17, 2012 WEINBERG, ROGER & ROSENFELD
A Professional Corporation
Trust Fund to file its reply papers to seven calendar days prior to said hearing date.
/s/ Linda Baldwin Jones By: LINDA BALDWIN JONES Attorneys for Respondent Dated: May 17, 2012 WILEY PRICE RADULOVICH, LLP 25 26 /s/ Monna R. Radulovich By: MONNA R. RADULOVICH Attorneys for Petitioner
PURSUANT TO STIPULATION, IT IS SO ORDERED, and the hearing on the motion 3 for attorneys fees is continued to July 27, 2012, with the exception that the deadline for the 4 Respondent Trust Fund to file its reply papers is extended only to July 13, 2012.
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