Dulces Topi SA de CV v. Mandisa Inc et al

Filing 30

ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE THE TRIAL DATE AND ALLTRIAL-RELATED DEADLINES, INCLUDING DISOCVERY AND MOTION CUT-OFF DATES by Judge Stephen G. Larson,, Set/Reset Deadlines/Hearings: Jury Trial set for 3/31/2009 09:30 AM before Judge Stephen G. Larson. Final Pretrial Conference set for 3/9/2009 11:00 AM before Judge Stephen G. Larson. Last date to conduct settlement conference is 1/29/2009. (am)

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1 Sergio A. Castaneda 2 3 4 5 6 (SBN 208642) Jason C. Ming (SBN 219745) Jacqueline Kojikian (SBN 249335) CASTANEDA & ASSOCIATES, P.L.C. A Professional Law Corporation 350 South Grand Avenue, Suite 2220 Los Angeles, CA 90071 Tel: (213) 488-3341 Fax: (213) 488-3471 Jason@castanedalaw.com Jacque@castanedalaw.com O 7 DULCES TOPI S.A. de C.V. 8 9 10 11 Attorneys for Defendants, UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA, EASTERN DIVISION DULCES TOPI S.A. de C.V. a Mexican Plaintiff(s), vs. corporation d/b/a MANDISA L.A. Defendant(s). ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE THE TRIAL DATE AND ALL TRIAL-RELATED DEADLINES, INCLUDING DISOCVERY AND MOTION CUT-OFF DATES Case No. EDCV 07-01581-SGL (OPx) 12 co, 13 14 15 MANDISA, INC., a California 16 INC.; and DOES 1 through 100 CASTANEDA & ASSOCIATES CORPORATION 17 350 South Grand Avenue | Suite 2220 Los Angeles, CA 90071 T (213) 488.3341 F (213) 488-3471 18 19 MANDISA, INC., a California 20 21 22 NOTE: CHANGES MADE BY THE COURT corporation. vs. LAW Cross-Complainant DULCES TOPI S.A. de C.V. a Mexican Cross-Defendant PROFESSIONAL 23 co.; and DOES 1-10, inclusive, 24 25 A 26 After consideration of the Plaintiff's and Defendant's Joint Stipulation to continue 27 28 1037-001 the trial date originally set for January 27, 2009, (and all trial related deadlines, [PROPOSED] ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE TRIAL AND ALL TRIAL-RELATED DEADLINES 1 including discovery and motion cut-off dates) to March 30, 2009, it is hereby 2 ORDERED that the above-referenced Joint Stipulation is GRANTED as follows: 3 4 5 31, 2009, at 9:30 a.m. All trial-related deadlines, including discovery and motion 6 cut-off dates are also continued, calculated according to the new trial date. 7 8 9 1. The trial date originally set for January 27, 2009 is continued to March 2. 3. 4. 5. Estimate Length of Trial 3-5 Days. Hearing on Motion in Limine; Hearing on Disputed Jury Instructions Final Pretrial Conference, LR 16-8 originally set for January 12, 2009 Lodge Pretrial Conference Order, LR 16-7, 16-7.1 to 16.72.; File 10 originally set for January 12, 2009, is continued to March 23, 2009 at 10:00 a.m. 11 12 is continued to March 9, 2009, at 11:00 a.m. 13 14 Contentions of fact and law, LR 16-2.8, 16.4; Exhibit & Witness Lists, LR 16-5 to 15 16-6; File Status Report regarding Settlement; File Rule 26(e) (1) Supplementation; 16 File Agreed Upon Set of Jury Instructions and Verdict Forms LR 49-1 to 49-2, 51-1 CASTANEDA & ASSOCIATES CORPORATION 17 to 51-5.1; File Joint Statement regarding Disputed Instructions, Verdicts, Motions in 350 South Grand Avenue | Suite 2220 Los Angeles, CA 90071 T (213) 488.3341 F (213) 488-3471 18 Limine to be filed, originally set for December 19, 2008 is continued to February 19 26, 2009. 20 LAW 6. A stipulation was granted by Magistrate Judge Oswald Parada to PROFESSIONAL 21 continue the Settlement Conference originally set for October 23, 2008 to January 22 29, 2009. 23 7. Last day to conduct Settlement Conference originally set for December A 24 1, 2008 is continued to January 29, 2009. 25 /// 26 /// 27 /// 28 /// ­2­ 1014-001 [PROPOSED ] ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE TRIAL AND ALL TRIAL-RELATED DEADLINES 1 8. 9. Last date for hearing Motion, LR 7.2, et seq. originally set for Discovery Cut-Off Date originally set for December 1, 2008 is 2 December 15, 2008 is continued to February 9, 2009 at 10:00 a.m. 3 4 extended to February 1, 2009. 5 6 7 Dated: November 09, 2008 8 9 10 11 12 13 14 15 16 CASTANEDA & ASSOCIATES CORPORATION NOTE: CHANGES MADE BY THE COURT Hon. Stephen Larson UNITED STATES DISTRICT JUDGE 17 350 South Grand Avenue | Suite 2220 Los Angeles, CA 90071 T (213) 488.3341 F (213) 488-3471 18 19 20 21 22 23 24 25 26 27 28 A PROFESSIONAL LAW 1014-001 ­3­ [PROPOSED ] ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE TRIAL AND ALL TRIAL-RELATED DEADLINES 1 2 PROOF OF SERVICE STATE OF CALIFORNIA, COUNTY OF LOS ANGELES I am employed in the County of Los Angeles, State of California. I am over Grand Avenue, Suite 2220, Los Angeles, CA 90071. 3 the age of 18 and not a party to the within action; my business address is 350 South 4 5 [PROPOSED] ORDER RE: AMENDED JOINT STIPULATION TO 6 parties to this action as follows: 7 8 9 10 11 12 13 14 15 16 CASTANEDA & ASSOCIATES CORPORATION On, November 6, 2008, the foregoing document described as SEE ATTACHED SERVICE LIST CONTINUE TRIAL AND ALL TRIAL-RELATED DEADLINES on the [X] (BY MAIL) I placed said document in an envelope addressed as shown on the service list. I am "readily familiar" with the firm's practice of collection and processing correspondence for mailing with the United States Postal Service. Under that practice, said correspondence will be deposited with the United States Postal Service the same day in the ordinary course of business. I sealed said envelope and placed it for collection and mailing on the date stated below to the addressed stated on the attached service list, following the firm's ordinary business practices (BY FACSIMILE) Said document was transmitted by facsimile machine to the address (es) on the service list at the facsimile numbers listed therein. I am readily familiar with my firm's practice for transmissions by facsimile. Said transmissions are sent as soon as possible and are repeated, if necessary, until they are reported as complete and without error. In sending said document by facsimile, I followed the firm's ordinary business practices. The original fax transmission confirmation reports of said transmissions are attached hereto. (BY PERSONAL SERVICE) I caused said document(s) to be delivered to the addresses listed on the attached Service List. (Messenger/Courier) (ELECTRONIC MAIL) I transmitted a true and correct copy of said document to the addressees on the service list via Electronic Mail. FEDERAL COURT I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. [X] 17 [ ] 350 South Grand Avenue | Suite 2220 Los Angeles, CA 90071 T (213) 488.3341 F (213) 488-3471 18 19 20 21 22 [] LAW PROFESSIONAL [X] 23 Executed on November 6, 2008, at Los Angeles, California 24 25 26 27 28 A ____________________________________ Cynthia Elias, Declarant 1014-001 ­4­ [PROPOSED ] ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE TRIAL AND ALL TRIAL-RELATED DEADLINES 1 2 3 SERVICE LIST SUPERIOR COURT OF CALIFORNIA CENTRAL DISTRICT OF CALIFORNIA Case No.: EDCV 07-01581-SGL 4 Glenn A. Besnyl, Esq. 5 Attorney at Law 6 750 N. Diamond Bar Blvd., Suite 104 Diamond Bar, CA 91765 7 Tel: (909) 396-0884 Fax: (909) 396-0734 8 E-mail: gab1law@msn.com 9 10 11 12 13 14 15 16 CASTANEDA & ASSOCIATES CORPORATION Attorney for Defendant(s), Mandisa, Inc. 17 350 South Grand Avenue | Suite 2220 Los Angeles, CA 90071 T (213) 488.3341 F (213) 488-3471 18 19 20 21 22 23 24 25 26 27 28 A PROFESSIONAL LAW 1014-001 ­5­ [PROPOSED ] ORDER RE: AMENDED JOINT STIPULATION TO CONTINUE TRIAL AND ALL TRIAL-RELATED DEADLINES

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