State Farm General Insurance Company v. Sunbeam Products Inc.

Filing 29

STIPULATION and ORDER to continued discovery and related dates, signed by Judge Oliver W. Wanger on 11/16/2009. (Kusamura, W)

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1 2 3 4 5 6 7 8 9 10 11 RUDLOFF WOOD & BARROWS LLP DOUGLAS K. WOOD (State Bar No. 121804) ANDREA BEDNAROVA (State Bar No. 250709) RUDLOFF WOOD & BARROWS LLP 2000 Powell Street, Suite 900 Emeryville, CA 94608 Telephone: (510) 740-1500 Facsimile: (510) 740-1501 Attorneys for Plaintiff STATE FARM GENERAL INSURANCE COMPANY UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA ­ FRESNO DIVISION 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 STATE FARM GENERAL INSURANCE COMPANY, an Illinois corporation, Plaintiff, vs. SUNBEAM PRODUCTS, INC., a Delaware corporation; and DOES 1 THROUGH 50, all inclusive, Defendants. Case No. 1:08-CV-01171-OWW-DLB STIPULATION TO CONTINUE DISCOVERY AND RELATED DATES ORDER 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 TO THE HONORABLE OLIVER W. WANGER, U.S. DISTRICT COURT JUDGE: STIPULATION WHEREAS, Plaintiff STATE GENERAL INSURANCE COMPANY ("STATE FARM") and Defendant, SUNBEAM PRODUCTS., INC. ("SUNBEAM") desire to continue the expert discovery and related dates due to scheduling conflicts of counsel and witnesses. NOW, THEREFORE, by and through their undersigned counsel of record, Plaintiff STATE FARM and Defendant SUNBEAM hereby stipulate to the following: 1. The discovery cut-off shall be continued to December 21, 2009 in order to complete CASE STIPULATION TO CONTINUE DISCOVERY AND RELATED DATES; ORDER NO. 1:08-CV-01171-OWW-DLB -1PDF created with pdfFactory trial version www.pdffactory.com 1 2 3 4 5 6 7 8 9 10 11 RUDLOFF WOOD & BARROWS LLP the depositions of expert witnesses and the exchange of expert files and related documents; 2. All expert files and other documents specified by the party deposing a designated expert shall be provided to the deposing party no later than on November 27, 2009; 3. The settlement conference currently scheduled for November 24, 2009 shall be rescheduled for a date after January 15, 2010; 4. The last day to file discovery related motions shall be continued to January 15, 2010; 5. The last date to file dispositive motions shall be continued to January 15, 2010; 6. The last date for hearing on all discovery related motions shall be continued to February 19, 2010; 7. The last date for hearing on all dispositive motions shall be continued to February 19, 2010; 8. All other deadlines remain unchanged. 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Respectfully submitted, DATED: November 13, 2009 RUDLOFF WOOD & BARROWS LLP By:__/s/ _Douglas K. Wood___________ Douglas K. Wood Attorneys for Plaintiff STATE FARM GENERAL INSURANCE COMPANY DATED: November 13, 2009 ERICKSEN ARBUTHNOT KILDUFF By:__/s/ _David J. O'Connel__________ David J. O'Connel Attorneys for Defendant SUNBEAM PRODUCTS, INC. STIPULATION TO CONTINUE DISCOVERY AND RELATED DATES; ORDER NO. 1:08-CV-01171-OWW-DLB -2PDF created with pdfFactory trial version www.pdffactory.com CASE 1 2 3 4 5 6 7 8 9 10 11 RUDLOFF WOOD & BARROWS LLP ORDER IT IS SO ORDERED, pursuant to the Stipulation of the parties, as follows: 1. 2. The discovery cut-off is continued to December 21, 2009; All expert files and other documents specified by the party deposing a designated expert shall be provided to the deposing party no later than on November 27, 2009; 3. The settlement conference shall be rescheduled for January 5, 2010 at 10:00AM before Magistrate Judge Beck; 4. The last day to file discovery related motions is continued to January 15, 2010; 5. 6. The last date to file dispositive motions is continued to January 15, 2010; The last date for hearing on all discovery related motions is continued to February 19, 2010; 7. The last date for hearing on all dispositive motions is continued to February 19, 2010; 8. All other deadlines remain unchanged. 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Dated: November 16, 2009 /s/ OLIVER W. WANGER HON. OLIVER W. WANGER UNITED STATES DISTRICT JUDGE STIPULATION TO CONTINUE DISCOVERY AND RELATED DATES; ORDER NO. 1:08-CV-01171-OWW-DLB -3PDF created with pdfFactory trial version www.pdffactory.com CASE

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