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Bay Area Surgical Management, LLC (A Limited Liability Company v. Principal Life Insurance Company (An Iowa Corporation)

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA 12 SAN JOSE DIVISION


September 28, 2012

BAY AREA SURGICAL MANAGEMENT, LLC (A LIMITED LIABILITY COMPANY) PLAINTIFF,
v.
PRINCIPAL LIFE INSURANCE COMPANY (AN IOWA CORPORATION), AND DOES 1-25, INCLUSIVE
DEFENDANTS.

DONALD SULLIVAN (State Bar No. 191080) ATE ICT S DISTR

WILSON, ELSER, MOSKOWITZ, S

T C

EDELMAN & DICKER LLP O

D U

San Francisco, California 94105 T T

2525 Market Street, 17th Floor E R Tel: (415) 433-0990 / Fax: (415) 434-1370 N

IT IS SO ORDERED A

I

U

EDNA S. BAILEY (State Bar No. 6277775) I

WILSON, ELSER, MOSKOWITZ, N

EDELMAN & DICKER LLP O d J. Davila R

N

Chicago, Illinois 60603 T L

55 West Monroe Street, Suite 3800 R F

Judge Edwar O

I

Tel: (312) 821-6162/ Fax: (312) 704-1522 H

E C

A

Attorneys for Defendant DISTR T O

RN F

IC

PRINCIPAL LIFE INSURANCE COMPANY 9/28/2012 9 10

STIPULATION TO EXTEND TIME TO ANSWER OR OTHERWISE RESPOND TO PLAINTIFF'S SECOND AMENDED COMPLAINT [Local Rule 6-1]

IT IS HEREBY STIPULATED, pursuant to Local Rule 6-1, by and between Plaintiff BAY

AREA SURGICAL MANAGEMENT, LLC ("Plaintiff") and Defendant PRINCIPAL LIFE 22

INSURANCE COMPANY ("Defendant"), through their attorneys of record, as follows: 23

1. Plaintiff filed a Second Amended Complaint in the above-titled action on or about

September 14, 2012. 25

2. Plaintiff has agreed that Defendant may have an extension to and including October 5, 2012 to answer or otherwise respond to the Second Amended Complaint; 27 28

Stip. Extending Time to Respond to Second Am. Compl.

3. This extension does not exceed thirty (30) days; and

4. This stipulated date for Defendant to respond to the Complaint will not alter the date of any event or any deadline already fixed by Court order.

Dated: September 27, 2012 WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER By: /s/ Edna S. Bailey Edna S. Bailey Donald P. Sullivan Attorneys for Defendant PRINCIPAL LIFE INSURANCE COMPANY Dated: September 27, 2012 LAW OFFICES OF NICOLAS M. LEZOTTE 14 By: /s/ Karli Jungwirth Nicolas M. Lezotte 15 Heather E. Gibson 16 Attorneys for Plaintiff BAY AREA SURGICAL MANAGEMENT, LLC

IT IS SO STIPULATED:

ATTESTATION CERTIFICATE

In accord with the Northern District of California's General Order No. 45, Section X.(B),I attest that concurrence in the filing of this document has been obtained from each of the other 21 signatories who are listed on the signature page. 22

/s/ Edna S. Bailey

EDNA S. BAILEY WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER LLP 25

55 West Monroe Street, Suite 3800 Chicago, Illinois 60603

(312) 821-6162 (312) 704-1522

20120928

© 1992-2012 VersusLaw Inc.



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