Case 5:07-cv-04737-JW
Document 4
Filed 11/13/2007
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1 SCOTT N. SCHOOLS, SC SBN 9990 United States Attorney 2 JOANN M. SWANSON, CSBN 88143 Assistant United States Attorney 3 Chief, Civil Division MELANIE L. PROCTOR, CSBN 228971 4 Assistant United States Attorney 5 6 7 Attorneys for Defendants 8 9 10 11 12 JIN SU, 13 14 v. Plaintiff, UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION ) ) No. C 07-4737 JW ) ) ) STIPULATION TO EXTEND DATES and ) [PROPOSED] ORDER ) ) ) ) ) ) ) 450 Golden Gate Avenue, Box 36055 San Francisco, California 94102 Telephone: (415) 436-6730 FAX: (415) 436-6927
15 MICHAEL CHERTOFF, Secretary of the Department of Homeland Security; 16 ROBERT S. MUELLER, Director of Federal Bureau of Investigations, 17 Defendants 18 19
The plaintiff, by and through her attorney of record, and defendants by and through their
20 attorneys of record, hereby stipulate, subject to the approval of the Court, to the following: 21 1. Plaintiff filed this action on or about September 14, 2007. The Defendants response is due
22 on November 16, 2007. 23 2. Pursuant to this Court's September 14, 2007 Order Setting the Case Management
24 Conference, the parties are required to file a joint case management statement on January 22, 2008, 25 and attend a case management conference on January 28, 2008. 26 3. In order to allow sufficient time for Defendants to consider an alternative resolution to this
27 case and/or Answer and prepare a joint case management statement, the parties hereby respectfully 28 ask this Court to extend the dates in the Court's scheduling order as follows: Stip. to Extend Dates C07-4737 JW
Case 5:07-cv-04737-JW
Document 4
Filed 11/13/2007
Page 2 of 2
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Defendants' Response: Last day to file Joint ADR Certification: Last day to file/serve Joint Case Management Statement: Case Management Conference:
January 14, 2007 January 22, 2007 February 4, 2007 February 11, 2007, at 10:00 a.m. Respectfully submitted, SCOTT N. SCHOOLS United States Attorney /s/ MELANIE L. PROCTOR Assistant United States Attorney Attorneys for Defendants
5 Date: November 13, 2007 6 7 8 9 10 11 12 Date: November 13, 2007 13 14 15 16 Date: 17 18 19 20 21 22 23 24 25 26 27 28 Stip. to Extend Dates C07-4737 JW 2
/s/ JUSTIN WANG Attorney for Plaintiff ORDER
Pursuant to stipulation, IT IS SO ORDERED.
JAMES WARE United States District Judge