arrow left
arrow right
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
  • NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al PERSONAL INJURY/PROPERTY DAMAGE - VEHICLE RELATED document preview
						
                                

Preview

DUNT SUPERIOR COURT OF CALIFORNIA COUNTY OF SAN FRANCISCO Document Scanning Lead Sheet Mar-26-2014 9:57 am Case Number: CGC-12-521356 Filing Date: Mar-26-2014 9:55 Filed by: ROSSALY DELAVEGA Juke Box: 001 Image: 04424543 STIPULATION NATHAN MARSHALL et al VS. DESOTO CAB COMPANY, INC. et al 001004424543 Instructions: Please place this sheet on top of the document to be scanned.PHILIP A. SEGAL, ESQ. 137633 DANIEL G. BALICH, ESQ. 278105 KERN, NODA, DEVINE & SEGAL 1388 Sutter Street, Suite 600 San Francisco, CA 94109 Tel: (415) 474-1900 Attorney for Defendants, NEW DESOTO CAB COOPERATIVE be ANY, INC{ sued erro CAB COMPANY, INC. and FAEGH BEHBAHANY. SUPERIOR COURT THE STATE OF CALIFORNIA CITY AND COUNTY OF SAN FRANCISCO UNLIMITED JURISDICTION NATHAN MARSHALL and ALEX NO.: CGC-12-521356 MARSHALL, individually and as successors in interest to decedents DENNIS T. MARSHALL and KAREN MARSHALL STIPULATION TO CONTINUE TRIAL DATE Plaintiffs, vs. DESOTO CAB COMPANY, INC., FAEGH BEHBAHANI, and DOES 1-20, inclusive. Defendants. / The parties, by and through their counsel of record, hereby stipulate to the following: 1. That the current trial date of June 9, 2014 be vacated due to the parties recent agreement to attend mediation with Honorable Ronald Sabraw, Ret., and due to the recent addition of the defendant Selby & Hudson Corporation to the case on February 20, 2014 and substitution of new counsel David King, Esq. on March 14, 2014. 2. That defendant Selby & Hudson Corporation’s Motion for Summary Judgment date of May 8, 2014 be vacated and continued to a later date in accordance with the newly assigned trial date. 3. That all discovery and pleading cut-off dates are based upon any new trial date set by STIPULATION TO CONTINUE TRIAL DATE.the Court. 4. That the parties are amenable to a new trial date in September of 2014 or a date thereafter according to the discretion and availability of the Court. 5. The parties further stipulate and agree that this stipulation may be executed by fax, and in one of more counterparts, each of which shall be deemed an original but all of which taken together shall constitute one and the same document DATED: 3/22/14 DATED: DATED: KERN, NODA, DEVINE & SEGAL By: /tm_/ thenwn DANIEL G. BALICH, ESQ. Attorney for Defendant, DESOTO CAB COMPANY, INC. and FAEGH BEHBAHANI EMISON HULLVERSON LLP By: MILES B. COOPER, ESQ. Attorney for Plaintiff, NATHAN MARSHALL and ALEX MARSHALL CARR, MCLELLAN, INGERSOLL, THOMPSON & HORN By: DAVID M. KING, ESQ. Attorney for Defendant, SELBY & HUDSON CORPORATION STIPULATION TO CONTINUE TRIAL DATE -2-3/21/2014 15:81 4154748302 KERNNODADEVINE&SEGAL PAGE 04/19 1 the Court. 2 4. That the parties are amenable to a new trial date in September of 2014 or a date 3 thereafter according to the discretion and availability of the Court. 4 5. The parties further stipulate and agree that this stipulation may be executed by fax, 5 and in one of more counterparts, each of which shall be deemed an original but all of 6 which taken together shall constitute one and the same document 7 8 DATED: KERN, NODA, DEVINE & SEGAL 9 10 By: 1 DANIEL G. BALICH, ESQ, Attorney for Defendant, 2 DESOTO CAB COMPANY, INC. and FAEGH BEHBAHANI v4 | DATED: “1.4 2/ 24/7 EMISON HULLVERSON LLP o 16 By: MELE — "7 MILES 8. COOPER, ESQ. Attomey for Plaintiff, 18 NATHAN MARSHALL and ALEX MARSHALL 19 20 DATED: CARR, MCLELLAN, INGERSOLL, THOMPSON & HORN 21 22. 23 By: DAVID M. KING, ESQ. a Attorney for Defendant, 9s SELBY & HUDSON CORPORATION 27 28 STIPULATION TO CONTINUE TRIAL DATE. -2-the Court. 4. That the parties are amenable to a new trial date in September of 2014 or a date thereafter according to the discretion and availability of the Court. 5. The parties further stipulate and agree that this stipulation may be executed by fax, and in one of more counterparts, each of which shall be deemed an original but all of which taken together shall constitute one and the same document DATED: DATED: DATED: KERN, NODA, DEVINE & SEGAL By: DANIEL G. BALICH, ESQ. Attorney for Defendant, DESOTO CAB COMPANY, INC. and FAEGH BEHBAHANI EMISON HULLVERSON LLP By: MILES B. COOPER, ESQ. Attorney for Plaintiff, NATHAN MARSHALL and ALEX MARSHALL CARR, MCLELLAN, INGERSOLL, THOMPSON & HORN Attorney for Defendant, SELBY & HUDSON CORPORATION STIPULATION TO CONTINUE TRIAL DATE -2-