Yepez v. Heartland Logistics, Inc.
Filing
17
STIPULATION and ORDER Continuing Case Deadlines signed by Magistrate Judge Gary S. Austin on 6/22/2010. (Figueroa, O)
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LITTLE R MEND E L S O N
A PROF E S SION AL C ORP OR A TION 50 West San Fernando Street 15th Floor San Jose, CA 95113.2303 408.998.4150
NEDA N. DAL CIELO, Bar No. 161982 ndalcielo@littler.com SUZANNE R. NESTOR, Bar No. 217984 snestor@littler.com LITTLER MENDELSON A Professional Corporation 50 West San Fernando Street 15th Floor San Jose, CA 95113.2303 Telephone: 408.998.4150 Facsimile: 408.288.5686 Attorneys for Defendant HEARTLAND LOGISTICS, INC. UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA FRESNO DIVISION REBEKAH N. YEPEZ, Plaintiff, v. HEARTLAND LOGISTICS, INC., et al., Defendants. Case No. 1:09-CV-01833-AWI-GSA STIPULATION AND ORDER CONTINUING CASE DEADLINES Judge: The Honorable Judge Gary S. Austin Courtroom 10, 6th Floor
WHEREAS, the deadline for completing discovery in this matter is currently set for July 12, 2010; WHEREAS, counsel for both parties agree that each side requires additional time to complete necessary discovery in this action; WHEREAS, counsel for both parties met and conferred regarding rescheduling of the discovery deadline and additional deadlines affected by the continuance of the discovery deadline; and WHEREAS, counsel for both parties have agreed to continue certain deadlines, as follows: The Discovery Cut-Off shall be continued to September 30, 2010; The Filing Deadline for Non-Dispositive Motions shall be continued to October 15, 2010;
FIRMWIDE:95740000.1 047975.1052
STIPULATION AND [PROPOSED] ORDER CONT. CASE DEADLINE (1:09-CV-01833-AWI-GSA)
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LITTLE R MEND E L S O N
A PROF E S SION AL C ORP OR A TION 50 West San Fernando Street 15th Floor San Jose, CA 95113.2303 408.998.4150
The Expert Disclosure Deadline shall be continued to November 1, 2010; The Supplement Expert Disclosure Deadline shall be continued to November 15, 2010; and The Expert Discovery Cut-Off shall be continued to December 15, 2010. WHEREAS, the parties agree that judicial economy would be served by continuing these deadlines; and NOW THEREFORE, the parties hereby stipulate that the deadlines should be continued as outlined above. Dated: June 22, 2010 /s/ Neda N. Dal Cielo NEDA N. DAL CIELO LITTLER MENDELSON, A Professional Corporation Attorneys for Defendant HEARTLAND LOGISTICS
Dated: June 22, 2010
/s/ Clinton P. Walker CLINTON P. WALKER DAMRELL, NELSON, ET AL. Attorney for Plaintiff REBEKAH N. YEPEZ
The Court notes the dispositive motion filing deadline following the aforementioned stipulation now falls very close to the expert discovery deadline. The parties are advised that requests or stipulations to amend the Scheduling Order with regard to the dispositive motion deadline or hearing, pretrial conference and/or trial date will be looked upon with disfavor. IT IS SO ORDERED.
Dated: June 22, 2010
/s/ Gary S. Austin GARY S. AUSTIN UNITED STATES MAGISTRATE JUDGE
FIRMWIDE:95740000.1 047975.1052
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STIPULATION AND [PROPOSED] ORDER CONT. CASE DEADLINE (1:09-CV-01833-AWI-GSA)
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