The opinion of the court was delivered by: The Honorable Gregory G. Hollows United States Magistrate Judge
M ICHAEL J. S TRUMWASSER (SBN 58413) F REDRIC D. W OOCHER (SBN 96689) P ATRICIA T. P EI (SBN 274957) STRUMWASSER & WOOCHER LLP 10940 Wilshire Boulevard, Suite 2000 Los Angeles, California 90024 Tel.: (310) 576-1233 Fax: (310) 319-0156 E-mail: email@example.com firstname.lastname@example.org email@example.com Attorneys for Plaintiff California Earthquake Authority David C. Powell (SBN 129781) Email: firstname.lastname@example.org Jesse L. Miller (SBN 183229) Email: email@example.com Christopher C. Foster (SBN 253839) Email: CFoster@reedsmith.com REED SMITH LLP 101 Second Street, Suite 1800 San Francisco, CA 94105-3659 Telephone: 415 543 8700 Facsimile: 415 391 8269 Attorneys for Defendants Metropolitan West Securities, LLC and Wells Fargo Bank, N.A., successor by merger to Wachovia Bank, N.A.
STIPULATION AND ORDER CONTINUING HEARING ON PLAINTIFF'S MOTION TO QUASH
Date action removed: February 4, 2010
Trial date: October 7, 2013
WHEREAS, Defendant Metropolitan West Securities, LLC ("Metropolitan West") issued a subpoena to Pricewaterhouse Coopers on June 6, 2012;
WHEREAS, Plaintiff California Earthquake Authority noticed a motion to quash that subpoena on June 21, 2012, and set the hearing on July 19, 2012;
WHEREAS, the parties have been engaged in extensive meet and confer on other discovery issues;
WHEREAS, the parties have a deposition scheduled for the day prior to the July 19th hearing in Los Angeles;
WHERAS, at Metropolitan West's request, and for the convenience of the parties, the parties desire to continue the hearing to July 26, 2012;
WHEREAS, the parties have agreed on a schedule for the opposition and reply deadlines on in the event of such a continuance;
NOW, THEREFORE, IT IS HEREBY STIPULATED by and among Plaintiff California Earthquake Authority and Defendants Metropolitan West Securities LLC and Wachovia Bank, N.A., through the undersigned counsel, as follows:
1. The July 19, 2012 hearing on the motion to quash shall be continued to July 26, 2012 at 10:00 a.m.
2. Defendants shall file the opposition to Plaintiff's motion on or before July 10, 2012.
3. Plaintiff shall file its reply in support of its motion to quash on or ...