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  • In Re Santa Maria Valley Groundwater Litigation (coordinated into Twitchell Dam Cases, JCCP4948) Other Complaint (Not Spec) Unlimited (42)  document preview
  • In Re Santa Maria Valley Groundwater Litigation (coordinated into Twitchell Dam Cases, JCCP4948) Other Complaint (Not Spec) Unlimited (42)  document preview
  • In Re Santa Maria Valley Groundwater Litigation (coordinated into Twitchell Dam Cases, JCCP4948) Other Complaint (Not Spec) Unlimited (42)  document preview
  • In Re Santa Maria Valley Groundwater Litigation (coordinated into Twitchell Dam Cases, JCCP4948) Other Complaint (Not Spec) Unlimited (42)  document preview
  • In Re Santa Maria Valley Groundwater Litigation (coordinated into Twitchell Dam Cases, JCCP4948) Other Complaint (Not Spec) Unlimited (42)  document preview
  • In Re Santa Maria Valley Groundwater Litigation (coordinated into Twitchell Dam Cases, JCCP4948) Other Complaint (Not Spec) Unlimited (42)  document preview
						
                                

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RICHARDS WATSON GERSHON ATTORNEYS AT LAW - A. CORPORATION M 1997-1-CV-770214 Santa Clara — Civil RICHARDS, WATSON & GERSHON A Professional Corporation JAMES L. MARKMAN (Bar No. 43536) jmarkman@rwglaw.com B. TILDEN KIM (Bar No. 143937) tkim@rwglaw.com 350 South Grand Avenue, 37th Floor Los Angeles, California 90071 Telephone: 213.626.8484 Facsimile: 213.626.0078 System System Electronically Filed by Superior Court of CA, County of Santa Clara, on 4/1/2021 11:21 AM Reviewed By: System System Case #1997-1-CV-770214 Envelope: 6153053 Attorneys for NIPOMO COMMUNITY SERVICES DISTRICT SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SANTA CLARA SANTA MARIA VALLEY WATER CONSERVATION DISTRICT, a public entity, Plaintiff, Vv. CITY OF SANTA MARIA, et al., Defendants. AND RELATED CROSS-ACTIONS AND FOR ACTIONS CONSOLIDATED FOR ALL PURPOSES. SANTA MARIA GROUNDWATER LITIGATION LEAD CASE NO. CV1-97-770214 (CONSOLIDATED FOR ALL PURPOSES) (Consolidated with Case Nos.: CV 784900, 784921, 784926, 785509, 785511, 785515, 785522, 785936, 786791, 787150, 787151, 787152)) JOINT CASE MANAGEMENT CONFERENCE STATEMENT AND REQUEST FOR CONTINUANCE Assigned for All Purposes To Hon. Peter Kirwan Date: April 7, 2021 Time: 10:00 a.m. Dept.: 19 JOINT CASE MANAGEMENT CONFERENCE STATEMENT 11415-0002\2479386v1.docRICHARDS WATSON GERSHON ATTORNEYS AT LAW - A PROFESSIONAL CORPORATION MN Nipomo Community Services District, Woodlands Mutual Water Company, Golden State Water Company, and Phillips 66 (collectively, the “NMMA parties”), the cities of Pismo Beach, Arroyo Grande, Grover Beach, and Oceano Community Services District (collectively, the “NCMA parties”), County of Santa Barbara, the Landowner Group parties, the City of Santa Maria, and City of Guadalupe submit this Joint Case Management Conference Statement in advance of the April 7, 2021, 10 a.m. Case Management Conference. In short, there have been no major developments or changes from the last Case Management Conference that took place on December 3, 2020, nor any changed positions from the last Joint Case Management Conference Statement, dated November 25, 2020. Accordingly, the parties request the Court consider continuing the upcoming April 7, 2021 Case Management Conference 60 to 90 days. Supplemental Statement of NCMA Parties -- The NCMA parties also inform the Court and other parties that the NCMA Parties will file a joint motion to appoint a Technical adviser, as previously requested by the Court. The motion will be filed prior to the CMC so that Judge can set an appropriate schedule to address the motion. Respectfully submitted, Dated: April 1, 2021 RICHARDS, WATSON & GERSHON A Professional Corporation By: B. Tilden Kim Attorneys for NIPOMO COMMUNITY SERVICES DISTRICT -2- JOINT CASE MANAGEMENT CONFERENCE STATEMENT 11415-0002\2479386v1.docATTORNEYS AT LAW - A PROFESSIONAL CORPORATION RICHARDS WATSON GERSHON M PROOF OF SERVICE Santa Maria Valley Water Conservation District v. City of Santa Maria, et al. Case No.: 1997-1-CV-770214 I, Audrey J. Powell, declare: Iam a resident of the state of California and over the age of eighteen years and not a party to the within action. My business address is 350 South Grand Avenue, 37th Floor, Los Angeles, California 90071-3101. On April 1, 2021, I served the within document(s) described as: JOINT CASE MANAGEMENT CONFERENCE STATEMENT AND REQUEST FOR CONTINUANCE on the interested parties in this action by: Xx] (ELECTRONIC SERVICE) By submitting an electronic version of the document(s) to One Legal, LLC, through the user interface at www.onelegal.com. I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. rc j 7 “) Re oy Executed on April 1, 2021, at Rancho Cucamonga, California. Audrey J. Powell PROOF OF SERVICE 11415-0002\2269118v1.doc