Exxonmobil Oil Corporation, a New York Corporation

Filing 51

STIPULATION and ORDER regarding Scheduling Conference and Disclosure dates. Initial Scheduling Conference continued from 10/22/10 to 12/10/2010 at 08:15 AM in Courtroom 3 (OWW) before Judge Oliver W. Wanger. Signed by Judge Oliver W. Wanger on 9/29/10. (Vasquez, J)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 BINGHAM MCCUTCHEN LLP Colleen P. Doyle (SBN 122060) colleen.doyle@bingham.com Karen A. Caffee (SBN 171817) casey.caffee@bingham.com Berj K. Parseghian (SBN 200932) berj.parseghian@bingham.com 355 South Grand Avenue, Suite 4400 Los Angeles, CA 90071-3106 Telephone: 213.680.6400 Attorneys for Plaintiff EXXONMOBIL OIL CORPORATION UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA EXXONMOBIL OIL CORPORATION, v. Plaintiff, No. 1:09-cv-01498-OWW-DLB STIPULATION AND ORDER RE SCHEDULING CONFERENCE AND DISCLOSURES Second Amended Complaint filed: Jun. 7, 2010 Honorable Oliver W. Wanger NICOLETTI OIL, INC. et al., Defendants. WHEREAS, an initial scheduling conference in this proceeding is set for October 22, 2010 at 8:15 a.m.; WHEREAS, the parties have agreed to conduct an early mediation in this matter on November 16-17, 2010 before Timothy Gallagher, Esq.; WHEREAS, the parties have agreed that, on or before October 7, 2010, defendants shall provide plaintiff with information concerning defendants' insurance coverage, including copies of all policies, the names and addresses of the insurance companies, the names of all insureds, the policy numbers, dates No. 1:09-cv-01498-OWW-DLB STIPULATION AND [PROPOSED] ORDER RE SCHEDULING CONFERENCE AND DISCLOSURES A/73511753.2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 and types of coverage, the limits of coverage, and whether any reservations of rights or coverage disputes exist; WHEREAS, the parties have agreed to exchange the information required by Fed. R. Civ. P. 26(a)(1) on or before October 29, 2010; and WHEREAS, the parties have agreed to exchange copies of all documents, electronically stored information, and tangible things that the disclosing party has in its possession, custody, or control and may use to support its claims or defenses, unless the use would be solely for impeachment, on or before November 30, 2010. THEREFORE, IT IS HEREBY STIPULATED AND AGREED that: 1. The initial scheduling conference should be continued to December 10, 2010 at 8:15 a.m. 2. On or before October 7, 2010, defendants shall provide plaintiff with information concerning defendants' insurance coverage, including copies of all policies, the names and addresses of the insurance companies, the names of all insureds, the policy numbers, dates and types of coverage, the limits of coverage, and whether any reservations of rights or coverage disputes exist. 3. On or before October 29, 2010, the parties shall exchange the information required by Fed. R. Civ. P. 26(a)(1). 4. On or before November 30, 2010, the parties shall exchange copies of all documents, electronically stored information, and tangible things that the disclosing party has in its possession, custody, or control and may use to support 2 A/73511753.2 No. 1:09-cv-01498-OWW-DLB STIPULATION AND ORDER RE SCHEDULING CONFERENCE AND DISCLOSURES 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 its claims or defenses, unless the use would be solely for impeachment. DATED: September 29, 2010 BINGHAM MCCUTCHEN LLP By: /s/ Berj K. Parseghian Berj K. Parseghian Attorneys for Plaintiff ExxonMobil Oil Corporation TATRO TEKOSKY SADWICK LLP By: /s/ Steven R. Tekosky (as authorized on September 29, 2010) Steven R. Tekosky Attorney for Defendants Nicoletti Oil, Inc., Dino J. Nicoletti, Nicoletti Oil Company, and John A Nicoletti IT IS SO ORDERED. Dated: DEAC_Signature-END: September 29, 2010 /s/ Oliver W. Wanger UNITED STATES DISTRICT JUDGE emm0d64h 3 A/73511753.2 No. 1:09-cv-01498-OWW-DLB STIPULATION AND ORDER RE SCHEDULING CONFERENCE AND DISCLOSURES

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