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1.) BREMER WHYTE BROWN & O’MEARA LLP ELECTRONICALLY
Keith G. Bremer, State Bar No, 155920 FILED
2 | kbremer@bremerwhyte.com eee
Alison K. Hurley, State Bar No. 234042 ee
3] ahurley@bremerwhyte.com y
Lilya Dishchyan, State Bar No. 309120 08/10/2018
4 | Mdishchyan@bremerwhyte,com Clerk of the Court
| 20320 S.W. Birch Street re
5 || Second Floor Deru ey err
| Newport Beach, California 92660
6 | Telephone: (949) 221-1000
Facsimile: (949) 221-1001
7
Attorneys for Defendant and Cross-Defendant,
& | CROWN BUILDING MAINTENANCE CO, dba
ABLE BUILDING MAINTENANCE CO,
9
10 SUPERIOR COURT OF THE STATE OF CALIFORNIA
i COUNTY OF SAN FRANCISCO
12 |
13 | MARIE DE GUZMAN, Case No. CGC-17-561142
14) Plaintiff, Judge: Hon. Teri L. Jackson
{ Cim: 610
15 vs.
STIPULATION TO CONTINUE
16 | COLUMBIA PROPERTY TRUST; JONES TRIAL
LANG LASALLE AMERICAS, INC.; WELLS
17 | FARGO BANK, N.A.; CROWN BUILDING
MAINTENANCE CO,; and DOES 1-50,
18 | inclusive,
Complaint Filed: September 5, 2017
19 Defendants
21 | TO THIS HONORABLE COURT, ALL PARTIES, AND ALL PARTIES’ COUNSEL:
22 | Plaintiff MARIE DE GUZMAN and defendants CROWN BUILDING MAINTENANCE
23 | CO. dba ABLE BUILDING MAINTENANCE CO., COLUMBIA PROPERTY TRUST, and
24 JONES LANG LASALLE AMERICAS, INC., by and through their respective counsel
25 || (collectively, “Parties"), enter into the following stipulation (“Stipulation”) and respectfully request
26 | that the Court continue trial and all related dates and discovery cutoffs trom November 5, 2018 to
27 | June 3, 2019,J THE PARTIES STIPULATE AND AGREE, through their respective counsel, as
follows:
le Good cause exists to continue trial and the Parties agree a continuance of the trial
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6 2. The Parties stipulate to continue the trial date from November 5, 2018 to June 3,
7 | 2019, or the nearest date after that time as the Court may be available,
8 3, The Parties also stipulate that all discovery cut-off, motion cut-off, and other trial-
9 | related deadlines will be reset based on the new trial date.
0 4, ‘This Stipulation can be signed in counterparts and facsimile signatures shall have
1} | the same force and effect as original signatures,
12} 5. All Parties, by and through their counsel, represent that they have their client's
13 | authority to enter into this Stipulation and assent to the terms set forth in this Stipulation.
14) 6. The Parties have stipulated and no prejudice will result to any party if the trial is
15 | continued,
16 | Dated: August), 2018
W7i
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21]
22| Dated: August &, 2018
23
24 By: GAMA
Keith G. Bremer
25 Alison K. Hurley
Lilya Dishchyan
26 Attorneys for Defendant and Cross-
Defendant
27 CROWN BUILDING MAINTENANCE
CO, dba
ABLE BUILDING MAINTENANCE CO,
date is warranted so that the Parties may have sufficient time to resolve discovery disputes, conduct
witness and expert depositions, engage in meaningful settlement discussions, and prepare for trial,t
1) Dated: August Zaois LERCH STURMER LLP
2 oN /
; or Kad Lec
Debra Steel Sturmer
4 Nicole A, Deterding
Attorneys tor Defer
5 COLUMBIA PROPERTY TRUST
| Dated: August 3, 2018 SKEBBA, ISAAC & BUECHLER
9} eo [fou C foo
10} Brian C, O'Hara
Attomeys for Defendant
il JONES LANG LASALLE AMERICAS,
i INC. ;
23}
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