P.A. v. Federal Bureau of Investigation et al

Filing 66

STIPULATION AND ORDER TO RESET CALENDARING DATE FOR THE MOTION TO DISMISS, granting 65 STIPULATION WITH PROPOSED ORDER: 9/4/2012 Motion to Dismiss continued to 9/11/2012 at 10:00 AM in Courtroom 5, 4th Floor, San Jose before Magistrate Judge Paul Singh Grewal. Signed by Judge Paul S. Grewal on 8/27/2012. (ofr, COURT STAFF) (Filed on 8/27/2012)

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1 2 3 4 Alex C. Park [SBN 197781] LAW OFFICES OF ALEX C. PARK 4675 Stevens Creek Blvd., Suite 100 Santa Clara, CA 95051 Telephone: (408) 246-1515 Facsimile: (408) 246-4105 Email: alexcpark@yahoo.com 8 GEORGE G. BENETATOS [SBN: 54986] LAW OFFICE OF GEORGE G. BENETATOS 244 California Street, Suite 300 San Francisco, California 94111 Telephone: (415) 398-2296 Facsimile: (415) 398-2290 Email: GGBenetatos@yahoo.com 9 Attorneys for Plaintiffs 5 6 7 10 11 UNITED STATES DISTRICT COURT 12 13 NORTHERN DISTRICT OF CALIFORNIA 14 SAN JOSE DIVISION 15 16 17 18 P.A., on behalf of her children: minor son CDC; minor son JDC; minor daughter ELA; and minor daughter GLA 19 20 Plaintiffs, 21 vs. 22 23 24 25 26 FEDERAL BUREAU OF INVESTIGATION, U.S. IMMIGRATION AND CUSTOMS ENFORCEMENT OFFICE, and DOES 1 TO 50, inclusive ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No. 10:CV-02811 P STIPULATION AND [PROPOSED] ORDER TO RESET CALENDARING DATE FOR THE MOTION TO DISMISS Defendants. 27 28 1 STIPULATION AND [PROPOSED] ORDER TO RESET MOTION TO DISMISS HEARING 1 P.A., on behalf of her children, minor daughter ELA, minor daughter GLA, and 2 3 4 5 Carlos del Carmen, and Julio del Carmen, through their counsel of record, Alex C. Park, and approved by Plaintiff United States of America, through counsel of record, Assistant United States Attorney Claire T. Cormier, hereby submit this stipulation and proposed 6 7 8 9 10 11 12 order to reset calendared case management conference. WHEREAS, the pending Motion to Dismiss is currently scheduled for September 4, 2012 in Courtroom 5, 4th Floor before The Hon. Paul Singh Grewal; WHEREAS, on the same date and at the same time Plaintiffs’ counsel has a scheduling conflict due to a calendaring error; 13 14 15 WHEREAS, Alex C. Park contacted this court requesting a change in the date for the Motion to Dismiss hearing and was provided with an alternative available date for the 16 17 18 19 court at 10:00 a.m. on September 11, 2012; WHEREAS, Assistant United States Attorney Claire T. Cormier, has agreed to reschedule the Motion to Dismiss to September 11, 2012 if the Court’s schedule is 20 21 22 available on that date; WHEREAS, for good cause, counsel for Plaintiffs request that the hearing for the 23 24 25 26 Motion to Dismiss be rescheduled and held at 10:00 a.m. on September 11, 2012. WHEREAS, Defendant United States of America, through counsel of record, Assistant United States Attorney, Claire T. Cormier, hereby agree to this stipulation and 27 28 proposed order; and 2 STIPULATION AND [PROPOSED] ORDER TO RESET MOTION TO DISMISS HEARING 1 NOW THEREFORE, the undersigned parties, by and through their counsel of 2 3 4 record respectfully stipulate that the hearing for Motion to Dismiss scheduled for September 4, 2012 be rescheduled to be held at 10:00 a.m. on September 11, 2012. 5 6 Respectfully submitted, LAW OFFICES OF ALEX C. PARK 7 8 9 DATED: August 24, 2012 10 /S/ ALEX C. PARK Attorney for Plaintiffs 11 12 13 MELINDA HAAG United States Attorney 14 15 16 DATED: August 24, 2012 17 18 /S/ CLAIRE T. CORMIER Assistant United States Attorney Attorney for Defendants 19 20 ORDER 21 22 For good cause shown above, 23 24 IT IS SO ORDERED. 25 26 27 28 August 27, 2012 DATED: _______________ HONORABLE PAUL S. GREWAL UNITED STATES JUDGE 3 STIPULATION AND [PROPOSED] ORDER TO RESET MOTION TO DISMISS HEARING

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