Free Stipulation - District Court of California - California


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Date: May 2, 2008
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Category: District Court of California
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Case 4:07-cv-03255-SBA

Document 109

Filed 05/02/2008

Page 1 of 3

1 MANATT, PHELPS & PHILLIPS, LLP ANDREW A. BASSAK (State Bar No. 162440) 2 SHIRLEY E. JACKSON (State Bar No. 205872) BENJAMIN T. BENUMOF (State Bar No. 227340) 3 One Embarcadero Center, 30th Floor San Francisco, CA 94111 4 Telephone: (415) 291-7400 Facsimile: (415) 291-7474 [email protected] 5 E-mail: [email protected]
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Attorneys for Defendant 7 HIGHPOINTE VILLAGE, L.P.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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OAKLAND DIVISION
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National Fair Housing Alliance, Inc.; Fair Housing of Marin, Inc.; Fair Housing Napa Valley, Inc.; Metro Fair Housing Services, Inc.; and Fair Housing Continuum, Inc., Plaintiffs,
vs.

No. C07-03255-SBA STIPULATION TO FURTHER EXTEND THE TIME FOR DEFENDANTS HIGHPOINTE VILLAGE, L.P. AND KNICKERBOCKER PROPERTIES, INC. XXXVIII TO RESPOND TO THE FIRST AMENDED COMPLAINT AND SERVE INITIAL DISCLOSURES [Civil. L.R. 6-1] Amended Complaint Filed: October 12, 2007

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A.G. Spanos Construction, Inc.; A.G. Spanos Development, Inc.; A.G. Spanos 18 Land Company, Inc.; A.G. Spanos Management, Inc.; The Spanos 19 Corporation; and 20 Knickerbocker Properties, Inc. XXXVHI; and Highpointe Village, L.P., Individually 21 and as Representatives of a Class of All Others Similarly Situated,
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Defendants.
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MANATT, PHELPS 8c PHILLIPS, LLP
ATTORNEYS AT LAW SAN FRANCISCO

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STIPULATION TO EXTEND TIME TO RESPOND TO FIRST AMEND. COMPLAINT, & SERVE INITIAL DISCLOSURES (CASE NO. C07-03255-SBA)

Case 4:07-cv-03255-SBA

Document 109

Filed 05/02/2008

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IT IS HEREBY STIPULATED by and between Plaintiffs National Fair Housing Alliance, Inc., Fair Housing of Marin, Inc., Fair Housing Napa Valley, Inc., Metro Fair Housing Services, Inc., and Fair Housing Continuum, Inc. (collectively "Plaintiffs"), on the one hand, and Defendants Highpointe Village, Inc. ("Highpointe") and Knickerbocker Properties, Inc. XXXXVIII ("Knickerbocker"), on the other hand, by and through their respective attorneys, in the abovecaptioned action entitled as follows: 1. On October 12, 2007, Plaintiffs filed their First Amended Complaint

("Amended Complaint") in the Northern District of California, against numerous Defendants, including Highpointe.
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2.

On December 21, 2007, Highpointe and Knickerbocker filed Motions to

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MANATT, PHELPS & PHILLIPS,

Dismiss Plaintiffs' Amended Complaint. On April 4, 2008, the Honorable Saundra Brown Armstrong issued an Order denying such Motions to Dismiss. 3. On April 9, 2008, Plaintiffs and Knickerbocker entered into a written

stipulation extending the time for Knickerbocker to answer Plaintiffs' Amended Complaint from April 14, 2008 to and through May 5, 2008. 4. On April 11, 2008, Plaintiffs and Highpointe entered into a written

stipulation extending the time for Highpointe to answer Plaintiffs' Amended Complaint from April 14, 2008 to and through May 6, 2008. 5. Plaintiffs, Highpointe and Knickerbocker now stipulate and agree that

Highpointe and Knickerbocker shall have an additional extension of time, up to and including May 20, 2008, to answer Plaintiffs' Amended Complaint. The parties agree that such extension of time will not alter the date of any event or any deadline already fixed by Court order.

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LLP

ATTWNE1S Al LAw SAN FCA-1-0

STIPULATION TO EXTEND TIME TO RESPOND TO FIRST AMEND. COMPLAINT, & SERVE INITIAL DISCLOSURES (CASE NO. C07-03255-SBA)

Case 4:07-cv-03255-SBA

Document 109

Filed 05/02/2008

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90013932.1

6.

Plaintiffs, Highpointe and Knickerbocker also stipulate and agree that

Highpointe and Knickerbocker shall have up to and including May 20, 2008 to serve their initial disclosures. IT IS SO STIPULATED. Dated: May Z, 2008
RELMAN & DANE PLLC

ichael Allen Stephen M. Dane Thomas J. Keary Attorneys for Plaintiffs NATIONAL FAIR HOUSING ALLIANCE, INC., FAIR HOUSING OF MARIN, INC., FAIR HOUSING NAPA VALLEY, INC., METRO FAIR HOUSING SERVICES, INC., AND FAIR HOUSING CONTINUUM, INC. Dated: May '2008 MANATT, PHELPS & PHILLIPS, LLP

Andrew A.",13assak Shirley E. Jackson Attorneys for Defendant
HIGHPOINTE VILLAGE, L.P.

Dated: May 1-, 2008

ALLEN MATKINS LECK GAMBLE MALLORY & NATSIS LLP

By:

Stephen'S. Walters Makesha A. Patterson Attorneys for Defendant KNICKERBOCKER PROPERTIES, INC. XXXVIII

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MANATT. PHELPS PHILLIPS,

LLP & If

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A TTORNEYS AT LAW
SAN FRANCISCO

STIPULATION TO EXTEND TIME TO RESPOND TO FIRST AMEND. COMPLAINT, & SERVE INITIAL DISCLOSURES (CASE NO. C07-03255SBA)