E.J. ET AL, Plaintiffs,
UNITED STATES OF AMERICA ET AL, Defendants.
MELINDA HAAG, (CABN 132612) United States Attorney, ALEX G. TSE, (CSBN 152348) Chief, Civil Division, VICTORIA R. CARRADERO, (CABN 217885) Assistant United States Attorney, San Francisco, California, Attorneys for the United States of America and the Coast Guard.
ANDREW CHARLES SCHWARTZ, (CABN 064578) CASPER, MEADOWS, SCHWARTZ & COOK, Counsel for Plaintiffs E.J., a minor, Lisa Houlihan Johnson, and Donald Arthur Johnson Walnut Creek, CA.
STIPULATION AND [PROPOSED] ORDER TO CONTINUE DEADLINES FOR THE UNITED STATES TO RESPOND TO PLAINTIFFS' COMPLAINT, CASE MANAGEMENT ACTIVITIES SET FORTH IN CASE MANAGEMENT ORDER, AND CASE MANAGEMENT CONFERENCE
NATHANAEL COUSINS, Magistrate Judge.
Federal Defendants the United States of America ("USA") and the United States Coast Guard and Plaintiffs E.J., a minor, Lisa Houlihan Johnson and Donald Arthur Johnson ("Planitiffs"), by and through their undersigned attorneys, hereby stipulate as follows:
WHEREAS the deadline for the United States of America to respond to Plaintiffs' Complaint is July 15, 2013 and the USA has requested additional time; and
WHEREAS the parties request more time to complete the case management activities set forth in the Order Setting Initial Case Management Conference and ADR Deadlines at Docket No. 2.
The parties hereby agree and request that the Court order that:
The deadline for the USA to respond to Plaintiffs' Complaint is continued from July 15, 2013 until August 1, 2013.
The deadline for the parties to complete the initial case management activities set forth in the Order Setting Initial Case Management Conference and ADR Deadlines, Docket No. 2, is continued to August 7, 2013.
The parties will mutually agree to the date for the exchange of initial disclosures as part of meeting and conferring on the contents of the Case Management Conference Statement, which will be filed on August 7, 2013.
The Case Management Conference will be continued from July 25, 2013 to August 21, 2013 at 10:00 a.m.
PURSUANT TO STIPULATION, IT IS ...