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Case 2:16-cv-02572-BRO-AFM Document 13 Filed 05/11/16 Page 1 of 4 Page ID #:43



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KAMALA D. HARRIS
Attorney General of California
MARK R. BECKINGTON
Supervising Deputy Attorney General
JOHN D. ECHEVERRIA
Deputy Attorney General
State Bar No. 268843

300 South Spring Street, Suite 1702
Los Angeles, CA 90013
Telephone: (213) 897-4902
Fax: (213) 897-5775
E-mail: [email protected]

Attorneys for Defendant Kamala D. Harris,
California Attorney General


IN THE UNITED STATES DISTRICT COURT

FOR THE CENTRAL DISTRICT OF CALIFORNIA



ULISES GARCIA; JORDAN
GALLINDER; BRIAN HILL;
BROOKE HILL; CRAIG DeLUZ;
SCOTT DIPMAN; ALBERT
DUNCAN; TRACEY GRAHAM;
LISA JANG; DENNIS SERBU;
MICHAEL VEREDAS; FIREARMS
POLICY FOUNDATION;
FIREARMS POLICY COALITION;
MADISON SOCIETY
FOUNDATION; and THE
CALGUNS FOUNDATION,

2:16-cv-02572-BRO-AFM

STIPULATION TO EXTEND TIME
TO RESPOND TO INITIAL
COMPLAINT BY NOT MORE
THAN 30 DAYS (L.R. 8-3)

Complaint Filed: April 20, 2016
Complaint Served: April 21, 2016
Current Response Date: May 12, 2016
New Response Date: June 10, 2016

Plaintiffs,

v.

KAMALA D. HARRIS, in her official
capacity as Attorney General of
California,

Defendant.












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Case 2:16-cv-02572-BRO-AFM Document 13 Filed 05/11/16 Page 2 of 4 Page ID #:44



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Pursuant to Local Rule 8-3, the parties to this action, by and through their

respective counsel, hereby stipulate as follows:

WHEREAS, Local Rule 8-3 provides that parties may extend the deadline to

initially respond to a complaint by up to thirty days without a Court Order;

WHEREAS, Plaintiffs filed the complaint on April 14, 2016;

WHEREAS, Plaintiffs served a summons and complaint by substituted service

on April 21, 2016; and

WHEREAS, Plaintiffs have agreed to extend the time by which Defendant can

answer or otherwise respond to the compliant, which results in Defendant’s answer

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or other response to the complaint being due on or before June 10, 2016.

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NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED, by

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and between counsel for Plaintiffs and counsel for Defendant, that:

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Defendant shall have up to and including June 10, 2016 to answer, move,

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plead or otherwise respond to the complaint.

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This Stipulation is not a waiver of any objection or defense that Defendant

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may raise in any subsequent answer, motion, pleading or response to the complaint.



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Case 2:16-cv-02572-BRO-AFM Document 13 Filed 05/11/16 Page 3 of 4 Page ID #:45



Dated: May 11, 2016















Dated: May 11, 2016


KAMALA D. HARRIS
Attorney General of California
MARK R. BECKINGTON
Supervising Deputy Attorney General



/s/ John D. Echeverria
JOHN D. ECHEVERRIA
Deputy Attorney General
Attorneys for Defendant Kamala D.
Harris, California Attorney General



BRADLEY A. BENBROOK
STEPHEN M. DUVERNAY
BENBROOK LAW GROUP, PC



/s/ Bradley A. Benbrook
Bradley A. Benbrook
Attorneys for Plaintiffs



ATTESTATION UNDER LOCAL RULE 5-4.3.4

Pursuant to Local Rule 5-4.3.4(a)(2)(i), I, John D. Echeverria, attest that all

signatories listed, and on whose behalf this filing is submitted, concur in the filing’s

content and have authorized the filing.

Dated: May 11, 2016



SA2016101989
52093059.doc

/s/ John D. Echeverria
JOHN D. ECHEVERRIA


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Case 2:16-cv-02572-BRO-AFM Document 13 Filed 05/11/16 Page 4 of 4 Page ID #:46

CERTIFICATE OF SERVICE


Case Name: Ulises Garcia, et al. v. Kamala

D. Harris



No.

2:16-cv-02572-BRO-AFM


I hereby certify that on May 11, 2016, I electronically filed the following documents with the
Clerk of the Court by using the CM/ECF system:



STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT BY
NOT MORE THAN 30 DAYS (L.R. 8-3)



I certify that all participants in the case are registered CM/ECF users and that service will be
accomplished by the CM/ECF system.

I declare under penalty of perjury under the laws of the State of California the foregoing is true
and correct and that this declaration was executed on May 11, 2016, at Los Angeles, California.




SA2016101989
52093670.doc



Angela Artiga

Declarant




/s/ Angela Artiga

Signature