Russo, et al., v. Regal Stone, Ltd. et al, No. 3:2007cv05800 - Document 287 (N.D. Cal. 2010)

Court Description: ORDER DENYING Stipulation Regarding Additional Notice and Extension of Closure Claim Deadline to Certain Potential Dungeness Crab Settlement Class Members. Signed by Judge Samuel Conti on 11/18/10. (tdm, COURT STAFF) (Filed on 11/18/2010)

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Russo, et al., v. Regal Stone, Ltd. et al 1 2 3 4 5 6 7 8 9 Doc. 287 Frank M. Pitre (fpitre@cpmlegal.com) Stuart G. Gross (sgross@cpmlegal.com) COTCHETT, PITRE & MCCARTHY San Francisco Airport Office Center 840 Malcolm Rd., Suite 200 Burlingame, CA 94010 Telephone: 650.697.6000 Facsimile: 650.697.0577 William M. Audet waudet@audetlaw.com) Michael McShane (mmcshane@audetlaw.com) AUDET & PARTNERS, LLP 221 Main Street, Suite 1460 San Francisco, CA 94105 Telephone: 415.568.2555 Facsimile: 415.568.2556 Class Counsel 10 11 12 UNITED STATES DISTRICT COURT FOR 13 THE NORTHERN DISTRICT OF CALIFORNIA 14 15 16 Allen Loretz, individually and on behalf of all others similarly situated, 17 Plaintiffs, 18 v. 19 Regal Stone, Ltd., Hanjin Shipping, Co., Ltd., Synergy Maritime, Ltd., Fleet Management Ltd., and John Cota, In Personam; M/V Cosco Busan, their engines, tackle, equipment, appurtenances, freights, and cargo In 20 21 22 23 Case No. C 07-5800 SC STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB N SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON Rem, Defendants. 24 25 26 27 28 STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON – CASE NO. 07-5800 SC Dockets.Justia.com WHEREAS, on April 21, 2010 this Court issued an Order Granting 1 2 Preliminary Approval Of Settlement And Provisional Class Certification (Dckt. No. 3 207); WHEREAS, unless otherwise defined herein, all defined terms used herein 4 5 shall have the meaning assigned to them in the Settlement Agreement that is 6 attached as Exhibit A to Plaintiffs Memorandum of Points and Authorities In 7 Support Of Motion for Preliminary Approval of Dungeness Crab Settlement (Dckt. 8 No. 199); WHEREAS, on June 2, 2010, Class Notice of the Settlement was provided to 9 10 potential Dungeness Crab Settlement Class members pursuant to the Court’s 11 April 21, 2010 Order; WHEREAS, the Class Notice provided on June 2, 2010 included (1) direct 12 13 Class Notice to Dungeness Crab Skippers who had previously received payments 14 through the Dungeness Crab Closure Claims Process and who were not 15 Individually Settled Skippers; (2) direct Class Notice to individuals who had been 16 identified as potentially qualifying as Dungeness Crab Crewmembers; and (3) 17 widespread publication of Class Notice; 18 WHEREAS, on September 3, 2010 this Court issued its Final Order 19 Approving Class Action Settlement And Dismissing Class Action With Prejudice 20 (Dckt. No. 264); 21 WHEREAS, the Parties have recently determined that there are sixteen 22 (16) Dungeness Crab Skippers who submitted Dungeness Crab Closure Claims 23 prior to June 2, 2010 and whose Dungeness Crab Closure Claims were denied, 24 withdrawn or administratively closed 1 (“DWC Claimants”) and whose contact 25 26 27 28 1 Hudson Marine Services (“HMMS”) “administratively closed” Dungeness Crab Closure Claims, when despite its requests, HMMS was unable to obtain information necessary to substantiate a claimant’s claim. STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON – CASE NO. 07-5800 SC 1 information is in the possession of HMMS, the administrator of Dungeness Crab 2 Closure Claims Process; 3 WEREAS, by virtue of the Settlement, the deadline for Dungeness Crab 4 Settlement Class members for submitting Dungeness Crab Closure Claims was 5 extended from November 7, 2010 to January 1, 2011, and Dungeness Crab 6 Settlement Class Members were provided certain other consideration, including 7 the right to reimbursement of reasonable attorneys’ fees incurred in pursuit of a 8 Dungeness Crab Closure Claims; 9 WHEREAS, the Settling Defendants have provided Class Counsel with a 10 sworn declarations from HMMS and Settling Defendants, stating that other than 11 the sixteen (16) DWC Claimants, the five (5) Dungeness Crab Skippers whose 12 Dungeness Crab Closure Claims were dormant as of June 2, 2010 and are 13 currently pending or were recently resolved and who were referenced in Julie 14 Taylor’s November 9, 2010 Supplemental Declaration (Dckt. No. 285) (the 15 “Pending Claimants”), and the Dungeness Crab Skippers to whom direct Class 16 Notice has already been sent, neither Settling Defendants, HMMS, nor any agent 17 or affiliate of HMMS or Settling Defendants, has the contact information of any 18 other Person who has contacted HMMS or any agent or affiliate of HMMS or 19 Settling Defendants, in regards to submitting a Dungeness Crab Closure Claim; 20 WHEREAS, the Parties believe that the sixteen (16) DWC Claimants 21 received sufficient Class Notice through publication, but out of an abundance of 22 caution and in light, in particular, of the modification of the deadline for 23 submitting Dungeness Crab Closure Claims effected by the Settlement, wish to 24 provide the sixteen (16) DWC Claimants with direct Class Notice and an extension 25 of time to re-open their Dungeness Crab Closure Claims from January 1, 2011 to 26 February 15, 2011. 27 28 STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON – CASE NO. 07-5800 SC 1 2 NOW, WHEREFORE, the Parties stipulate and seek an Order from this Court directing: 3 4 1. Any Pending Claimant whose claim has been resolved and who is 5 dissatisfied with such resolution shall have the right to reopen his, 6 her, or its Dungeness Crab Closure Claim by January 1, 2011; 7 2. That the five (5) Pending Claimants shall be sent a letter by Class 8 Counsel that informs them of the rights and benefits to which they 9 may be entitled under the Settlement, provides them with contact 10 information of the Claims Administrator and Class Counsel, and 11 encloses a copy of the Class Notice and Dungeness Crab Skipper 12 Claims Form and instructions. 13 3. Closure Claim deadline shall be extended to February 15, 2011; 14 15 That, for the sixteen (16) DWC Claimants only, the Dungeness Crab 4. That the sixteen (16) DWC Claimants shall be provided with direct 16 Class Notice of the Settlement, which will include notification that 17 the deadline for these sixteen (16) DWC Claimants to re-open their 18 Dungeness Crab Closure Claims has been extended from January 1, 19 2011 to February 15, 2011; 20 5. Class Counsel shall have the opportunity to file by November 19, 2010 21 a Supplemental Declaration, to supplement the Declaration that Class 22 Counsel filed on October 30 (Dckt. No. 283) in response to the Court’s 23 Order of October 22, 2010 (Dckt. No. 281); and 24 25 6. Settling Defendants’ Counsel shall have the opportunity to file a responsive Declaration by November 30, 2010. 26 27 28 STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON – CASE NO. 07-5800 SC 1 IN WITNESS WHEREOF, each of the Parties hereto has caused this Agreement to 2 be executed on its behalf by its duly authorized counsel of record, all as of the day 3 set forth below. AGREED: 4 5 6 7 8 9 10 11 12 13 14 15 16 17 COUNSEL FOR PLAINTIFFS AND CLASS COUNSEL IN THE ACTION Dated: November 12, 2010 COTCHETT, PITRE & MCCARTHY AUDET & PARTNERS, LLP /s/ Stuart G. Gross Frank M. Pitre Stuart G. Gross COTCHETT, PITRE & MCCARTHY San Francisco Airport Office Center 840 Malcolm Rd., Suite 200 Burlingame, CA 94010 Telephone: 650.697.6000 Facsimile: 650.697.0577 William M. Audet AUDET & PARTNERS, LLP 221 Main Street, Suite 1460 San Francisco, CA 94105 Telephone: 415.568.2555 Facsimile: 415.568.2556 18 19 20 21 22 23 24 25 26 27 28 STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON – CASE NO. 07-5800 SC 1 SETTLING DEFENDANTS AND SETTLING DEFENDANTS’ COUNSEL IN 2 THE ACTION 3 4 Dated: November 12, 2010 KEESAL, YOUNG & LOGAN PC 5 6 /s/ Julie A. Kole Joseph A. Walsh II Julie L. Taylor Julie A. Kole 450 Pacific Avenue San Francisco, CA 94133 7 8 9 10 11 12 S Samuel Conti ti uel Con United States ge Sam Jud District Court Judge 17 FO A H ER LI RT 16 , 2010 NO 15 11/18 D DENIE R NIA Dated: UNIT ED 14 RT U O IT IS SO ORDERED. 13 S DISTRICT TE C TA N F D IS T IC T O R C 18 19 20 21 22 23 24 25 26 27 28 STIPULATION REGARDING ADDITIONAL NOTICE AND EXTENSION OF CLOSURE CLAIM DEADLINE TO SIXTEEN POTENTIAL DUNGENESS CRAB SETTLEMENT CLASS MEMBERS AND [PROPOSED] ORDER THEREON – CASE NO. 07-5800 SC

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