Free Stipulation - District Court of California - California


File Size: 32.6 kB
Pages: 5
Date: July 1, 2008
File Format: PDF
State: California
Category: District Court of California
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Word Count: 979 Words, 6,229 Characters
Page Size: Letter (8 1/2" x 11")
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Case 3:08-cv-02915-CRB

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Scott J. Ferrell, Bar No. 202091 CALL, JENSEN & FERRELL A Professional Corporation 610 Newport Center Drive, Suite 700 Newport Beach, CA 92660 Tel: (949) 717-3000 Fax: (949) 717-3100 [email protected]

Attorneys for Defendants Chevron U.S.A. Inc., 7 Joseph V. Duncan, Linda F. Duncan, individually and dba Joe's Chevron
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UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA JEFF HOHLBEIN, Plaintiff, vs. Case No. CV-08-02915 WHA STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT

CHEVRON U.S.A., INC., a Pennsylvania corporation, JOSEPH V. DUNCAN, LINDA F. DUNCAN, individually and dba 17 JOE'S CHEVRON, and DOES ONE to 18 FIFTY, inclusive,
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CALL, JENSEN & FERRELL A PROFESSIONAL CORPORATION

Defendants. Complaint Filed: June 11, 2008 Trial Date: None Set Plaintiff Jeff Hohlbein, by and through his undersigned counsel, and Defendants Chevron U.S.A. Inc., Joseph V. Duncan, Linda F. Duncan, individually and dba Joe's Chevron, by and through their undersigned counsel, (collectively referred to herein as the "Parties"), hereby agree as follows: /// ///
CHE03-27:387928_1:7-1-08

-1STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT

Case 3:08-cv-02915-CRB

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CALL, JENSEN & FERRELL A PROFESSIONAL CORPORATION

WHEREAS, the Complaint was filed on June 11, 2008;

WHEREAS, Defendants were served with the Summons and Complaint on June 23, 2008;

WHEREAS, Defendants' response is due on July 14, 2008, the Parties agree that Defendants require an additional fourteen (14) days to respond to the Complaint.

NOW THEREFORE, it is hereby stipulated that Defendants shall have until July 28, 2008 to answer, respond or otherwise move this Court regarding the Complaint. Dated: July 1, 2008 SINGLETON LAW GROUP

By: s/Richard E. Grabowski Richard E. Grabowski Attorneys for Plaintiff Jeff Hohlbein Dated: July 1, 2008 CALL, JENSEN & FERRELL A Professional Corporation Scott J. Ferrell

By: s/Scott J. Ferrell Scott J. Ferrell Attorneys for Defendants Chevron U.S.A. Inc., Joseph V. Duncan, Linda F. Duncan, individually and dba Joe's Chevron

CHE03-27:387928_1:7-1-08

-2STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT

Case 3:08-cv-02915-CRB

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CERTIFICATE OF SERVICE (United States District Court)

I am employed in the County of Orange, State of California. I am over the age of 4 18 and not a party to the within action; my business address is 610 Newport Center Drive, Suite 700, Newport Beach, CA 92660.
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On July 1, 2008, I have served the foregoing document described as STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT on the 7 following person(s) in the manner(s) indicated below:
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SEE ATTACHED SERVICE LIST [ X ] (BY ELECTRONIC SERVICE) I am causing the document(s) to be served on the Filing User(s) through the Court's Electronic Filing System.

[ ] (BY MAIL) I am familiar with the practice of Call, Jensen & Ferrell for collection and processing of correspondence for mailing with the United States Postal 13 Service. Correspondence so collected and processed is deposited with the United States Postal Service that same day in the ordinary course of business. On this date, a copy of 14 said document was placed in a sealed envelope, with postage fully prepaid, addressed as set forth herein, and such envelope was placed for collection and mailing at Call, Jensen 15 & Ferrell, Newport Beach, California, following ordinary business practices.
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CALL, JENSEN & FERRELL A PROFESSIONAL CORPORATION

[ ] (BY OVERNIGHT SERVICE) I am familiar with the practice of Call, Jensen & Ferrell for collection and processing of correspondence for delivery by overnight courier. Correspondence so collected and processed is deposited in a box or other facility regularly maintained by the overnight service provider the same day in the ordinary course of business. On this date, a copy of said document was placed in a sealed envelope designated by the overnight service provider with delivery fees paid or provided for, addressed as set forth herein, and such envelope was placed for delivery by the overnight service provider at Call, Jensen & Ferrell, Newport Beach, California, following ordinary business practices. [ ] (BY FACSIMILE TRANSMISSION) On this date, at the time indicated on the transmittal sheet, I transmitted from a facsimile transmission machine, which telephone number is (949) 717-3100, the document described above and a copy of this declaration to the person, and at the facsimile transmission telephone numbers, set forth herein. The above-described transmission was reported as complete and without error by a properly issued transmission report issued by the facsimile transmission machine upon which the said transmission was made immediately following the transmission. [ ] (BY E-MAIL) I transmitted the foregoing document(s) by e-mail to the addressee(s) at the e-mail address(s) indicated.

Case 3:08-cv-02915-CRB

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[ X ] (FEDERAL) I declare that I am a member of the Bar and a registered Filing User for this District of the United States District Court.

I declare under penalty of perjury under the laws of the United States of America 4 that the foregoing is true and correct, and that this Certificate is executed on July 1, 2008, at Newport Beach, California.
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CALL, JENSEN & FERRELL A PROFESSIONAL CORPORATION

s/Scott J. Ferrell__________________

Case 3:08-cv-02915-CRB

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CALL, JENSEN & FERRELL A PROFESSIONAL CORPORATION

SERVICE LIST Jason K. Singleton, Esq. Richard E. Grabowski, Esq. Singleton Law Group 611 "L" Street, Suite A Eureka, CA 95501 Tel: (707) 441-1177 Fax: (707) 441-1533 [email protected] [email protected] Attorneys for Plaintiff Jeff Hohlbein