Foster Poultry Farms, Inc. v. XL Insurance et al
Filing
27
Order amending scheduling order, signed by Magistrate Judge Stanley A. Boone on 2/25/2015. (Designation of Expert Witnesses due by 5/1/2015; Discovery due by 7/1/2015) (Figueroa, O)
1 DICKSTEIN SHAPIRO LLP
FIONA CHANEY (CA Bar No. 227725)
2 JUSTIN F. LAVELLA pro hac vice
chaneyf@dicksteinshapiro.com
3 lavellaj@dicksetinshapiro.com
2049 Century Park East, Suite 700
4 Los Angeles, CA 90067-3109
Telephone:
(310) 772-8300
Facsimile:
(310) 772-8301
5
6 Attorneys for Plaintiff
FOSTER POULTRY FARMS, INC.
7
SEDGWICK LLP
8 BRUCE D. CELEBREZZE SBN 102181
MICHAEL A. TOPP SBN 148445
9 ERIN A. CORNELL SBN 227135
333 Bush Street, 30th Floor
10 San Francisco, CA 94104
Telephone:
(415) 781-7900
Facsimile:
(415) 781-2635
11
Email:
bruce.celebrezze@sedgwicklaw.com
michael.topp@sedgwicklaw.com
12
erin.cornell@sedgwicklaw.com
13
Attorneys for Defendants THOSE CERTAIN
14 UNDERWRITERS AT LLOYD’S, LONDON WHOSE
NAMES ARE SEVERALLY SUBSCRIBED TO
15 PRODUCTION CONTAMINATION INSURANCE
POLICY NO. C131542, COLLECTIVELY SUED AS
16 CERTAIN UNDERWRITERS AT LLOYD’S, LONDON
17
UNITED STATES DISTRICT COURT
18
EASTERN DISTRICT OF CALIFORNIA
19
20
CASE NO. 1:14-cv-00953-WBS-SAB
FOSTER POULTRY FARMS, INC.,
21
22
Plaintiff,
v.
23
CERTAIN UNDERWRITERS AT LLOYD’S,
24 LONDON,
25
26
27
28
Defendants.
ORDER AMENDING SCHEDULING
ORDER
1
Pursuant to Plaintiff Foster Poultry Farms, Inc.’s and Defendants’ Those Certain
2 Underwriters at Lloyd’s, London Whose Names are Severally Subscribed to Product Contamination
3 Insurance Policy No. C131542 Joint Motion to Amend Scheduling Order set forth in this Court’s
4 November 6, 2014 Status (Pretrial Scheduling) Order [Docket 23], GOOD CAUSE appearing:
5
IT IS HEREBY ORDERED THAT the dates set forth in the November 6, 2014 Status
6 (Pretrial Scheduling) Order [Docket 23], are modified as follows:
7
A.
8
9
The parties shall disclose experts and produce reports in accordance with Federal Rule of
Civil Procedure 26(a)(2) by no later than May 1, 2015.
B.
With regard to expert testimony intended solely for rebuttal, those experts shall be
10
disclosed and reports produced in accordance with Federal Rule of Civil Procedure
11
26(a)(2) on or before June 1, 2015.
12
C.
All discovery, including depositions for preservation of testimony, is left open, save and
13
except that it shall be so conducted as to be completed by July 1, 2015. The word
14
“completed” means that all discovery shall have been conducted so that all depositions
15
have been taken and any disputes relevant to discovery shall have been resolved by
16
appropriate order if necessary and, where discovery has been ordered, the order has been
17
obeyed. All motions to compel discovery must be noticed on the magistrate judge’s
18
calendar in accordance with the local rules of this court and so that such motions may be
19
heard (and any resulting orders obeyed) not later than July 1, 2015.
20
21
22 IT IS SO ORDERED.
23 Dated:
24
February 25, 2015
UNITED STATES MAGISTRATE JUDGE
25
26
27
28
-2-
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?