Fresno Unified School District v. K.U., et al.

Filing 23

STIPULATION OF THE PARTIES REGARDING EXTENDING TIME TO MAKE RULE 26 INITIAL DISCLOSURES AND ORDER THEREON; signed by Magistrate Judge Michael J. Seng on 2/1/2013. (Yu, L)

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1 McCormick, Barstow, Sheppard, Wayte & Carruth LLP 2 Sang-Jin Nam, #148859 Melody A. Hawkins, #226522 3 5 River Park Place East Fresno, California 93720-1501 4 Telephone: (559) 433-1300 Facsimile: (559) 433-2300 5 Attorneys for Plaintiff and Counterdefendant 6 FRESNO UNIFIED SCHOOL DISTRICT 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA, FRESNO DIVISION 10 11 FRESNO UNIFIED SCHOOL DISTRICT, Case No. 1:12-cv-01699-LJO-MJS 12 STIPULATION OF THE PARTIES REGARDING EXTENDING TIME TO MAKE RULE 26 INITIAL DISCLOSURES AND ORDER THEREON 13 Plaintiff, v. 14 K.U. ET AL., 15 Defendant. 16 AND RELATED COUNTER-CLAIMS 17 18 19 STIPULATION OF THE PARTIES 1. Pursuant to Section VI.(A) of the Scheduling Order in the above captioned case, 20 Plaintiff and Counterdefendant Fresno Unified School District (“Plaintiff”) and Defendants and 21 Counterclaimants K.U. and A.D.U. (“Defendants”) (Plaintiffs and Defendants shall be collectively 22 referred to herein as the “Parties”) are to exchange their respective Initial Disclosures required by Fed. 23 R. Civ. P. 26(a)(1) on or before January 31, 2013. 24 2. The Parties are currently working towards the settlement of this action and as such, by 25 and through their counsel of record, have mutually agreed and stipulated that additional time is 26 necessary to allow the parties to complete their respective Rule 26(a) Initial Disclosures. 27 3. Pursuant to Federal Rule of Civil Procedure 26(a)(1)(C), the Parties have agreed and 28 hereby stipulate to extend the date for their respective Rule 26(a) Initial Disclosure to Friday, MCCORMICK, BARSTOW , SHEPPARD, W AYTE & CARRUTH LLP 5 RIVER PARK PLACE EAST FRESNO, CA 93720-1501 STIPULATION OF THE PARTIES REGARDING EXTENDING TIME TO MAKE RULE 26 INITIAL DISCLOSURES AND ORDER THEREON 1 February 15, 2013. 2 4. As such, the Parties, by and through their respective counsel of record, have agreed and 3 stipulated to continue the date of their respective Rule 26(a) Initial Disclosures from January 31, 2013 4 to February 15, 2013. 5 6 Dated: January 31, 2013 Respectfully submitted, 7 McCORMICK, BARSTOW, SHEPPARD, WAYTE & CARRUTH LLP 8 9 10 /s/ Sang-Jin Nam Sang-Jin Nam Melody A. Hawkins Attorneys for Plaintiff and Counterdefendant FRESNO UNIFIED SCHOOL DISTRICT By: 11 12 13 14 Dated: January 31, 2013 RUDERMAN & KNOX LLP 15 16 /s/ F. Richard Ruderman F. Richard Ruderman Christian M. Knox Attorneys for Defendants and Counterclaimants K.U. and A.D.U. By: 17 18 19 20 21 22 23 24 ORDER Good cause appearing, the parties’ stipulation, above, is accepted and adopted as the Order of this Court. DEAC_Signature-END: ci4d6 25 IT IS SO ORDERED. 26 27 28 MCCORMICK, BARSTOW , SHEPPARD, W AYTE & CARRUTH LLP 5 RIVER PARK PLACE EAST FRESNO, CA 93720-1501 Dated: February 1, 2013 /s/ Michael J. Seng UNITED STATES MAGISTRATE JUDGE DEAC_Signature-END: 2 STIPULATION OF THE PARTIES REGARDING EXTENDING TIME TO MAKE RULE 26 INITIAL DISCLOSURES AND ORDER THEREON 1 ci4d6 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 MCCORMICK, BARSTOW , SHEPPARD, W AYTE & CARRUTH LLP 5 RIVER PARK PLACE EAST FRESNO, CA 93720-1501 3 STIPULATION OF THE PARTIES REGARDING EXTENDING TIME TO MAKE RULE 26 INITIAL DISCLOSURES AND ORDER THEREON

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