County of Sacramento et al v. Aerojet- General Corporation et al
Filing
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STIPULATION and ORDER signed by Judge Morrison C. England, Jr on 11/2/11 ORDERING the action STAYED until 1/15/12, including all obligations pursuant to Rule 26, and any obligation to respond to the First Amended Complaint; Joint Status Report due 2/15/12 unless a dismissal is filed before that date. Defendants have until 3/15/12 to respond to the First Amended Complaint unless a dismissal is before that date. (Meuleman, A)
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SOMACH SIMMONS & DUNN
A Professional Corporation
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SOMACH, SIMMONS & DUNN
STUART L. SOMACH (State Bar No. 090959;
ssomach@somachlaw.com)
500 Capitol Mall, Suite 1000
Sacramento, CA 95814
Telephone (916) 446-7979; Facsimile (916) 446-8199
Attorneys for Plaintiffs
COUNTY OF SACRAMENTO
and SACRAMENTO COUNTY WATER AGENCY
RICHARD C. COFFIN (State Bar No. 70562;
rcc@bcltlaw.com)
BARG COFFIN LEWIS & TRAPP, LLP
350 California Street, 22nd Floor
San Francisco, California 94104-1435
Telephone (415) 228-5400; Facsimile (415) 228-5450
Attorneys for Defendants
THE BOEING COMPANY and MCDONNELL
DOUGLAS CORPORATION
LAWRENCE A. HOBEL, (State Bar No. 73364;
lhobel@cov.com)
COVINGTON & BURLING LLP
One Front Street
San Francisco, California 94111-53536
Telephone (415) 591-7028; Facsimile (415) 955-6528
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BRIAN SWEENEY, (State Bar No. 195999,
brian.sweeney@aerojet.com)
AEROJET-GENERAL CORPORATION
P.O. Box 13222, Dept. 0106
Sacramento, California 95813-6000
Telephone (916) 351-8588; Facsimile (916) 351-8610
Attorneys for Defendants
AEROJET-GENERAL CORPORATION
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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COUNTY OF SACRAMENTO;
SACRAMENTO COUNTY WATER AGENCY,
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Plaintiffs,
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v.
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AEROJET-GENERAL CORPORATION; THE
BOEING COMPANY; McDONNELL
DOUGLAS CORPORATION
Case No. 2:09-CV-01814-MCE-EFB
STIPULATION FOR STAY OF
ACTION; ORDER
Date:
No Hearing Requested
Time:
N/A
Courtroom: 7
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Defendants.
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STIPULATION FOR STAY OF ACTION; ORDER
CASE No. 2:09-CV-01814-MCE-EFB
-1913540.1
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WHEREAS, under this Court’s Stipulated Orders of May 27, 2010, November 16,
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2010, June 1, 2011 and August 29, 2011, this action was stayed until October 31, 2011, and
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Defendants have until December 16, 2011, to file responsive pleadings;
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WHEREAS, the parties have executed an agreement which settles this case, and
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under the terms of the settlement Defendants have until December 31, 2011 to wire transfer the
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settlement funds to Plaintiffs, and Plaintiffs shall file a dismissal with prejudice no later than
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ten (10) days after receipt of the transferred funds;
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WHEREAS, for these reasons, the parties jointly seek this Court’s Order staying
the litigation until January 15, 2012 to effectuate the settlement, and to establish new dates for the
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SOMACH SIMMONS & DUNN
A Professional Corporation
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filing of the Joint Status Report and for Defendants’ response to the First Amended Complaint if
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the settlement is not implemented;
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THEREFORE:
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IT IS HEREBY STIPULATED, by and between the Plaintiffs and Defendants that
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1. The action is stayed until January 15, 2012, including all obligations pursuant
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to Rule 26, and any obligation to respond to the First Amended Complaint.
2. The Joint Status Report is due on February 15, 2012 unless a dismissal is filed
before that date.
3. Defendants have until March 15, 2012, to respond to the First Amended
Complaint unless a dismissal is before that date.
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DATED: October 31, 2011
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By:
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BARG COFFIN LEWIS & TRAPP, LLP
DATED: October 31, 2011
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/s/ Richard C. Coffin
Richard C. Coffin
Attorneys for Defendant
THE BOEING COMPANY and
MCDONNELL DOUGLAS CORPORATION
COVINGTON & BURLING LLP
By:
/s/ Lawrence A. Hobel
Lawrence A. Hobel
Attorneys for Defendant
AEROJET-GENERAL CORPORATION
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STIPULATION FOR STAY OF ACTION; ORDER
CASE No. 2:09-CV-01814-MCE-EFB
-2913540.1
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DATED: October 31, 2011
SOMACH, SIMMONS & DUNN
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By:
/s/ Stuart L. Somach
Stuart L. Somach
Attorneys for Plaintiffs
COUNTY OF SACRAMENTO and
SACRAMENTO COUNTY WATER AGENCY
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GOOD CAUSE APPEARING, IT IS SO ORDERED.
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Dated: November 2, 2011
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__________________________________
MORRISON C. ENGLAND, JR
UNITED STATES DISTRICT JUDGE
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SOMACH SIMMONS & DUNN
A Professional Corporation
DEAC_Signatu re-END:
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STIPULATION FOR STAY OF ACTION; ORDER
CASE No. 2:09-CV-01814-MCE-EFB
-3913540.1
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CERTIFICATE OF SERVICE
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I hereby certify that a true and correct copy of the foregoing will be e-filed on
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October 31, 2011, and will be automatically served upon counsel of record, all of whom appear
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to be subscribed to receive notice from the ECF system.
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Dated: October 31, 2011
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/s/ Michael E. Vergara
Michael E. Vergara
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SOMACH SIMMONS & DUNN
A Professional Corporation
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c4d6b0d3
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STIPULATION FOR STAY OF ACTION; ORDER
CASE No. 2:09-CV-01814-MCE-EFB
-4913540.1
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