Mission Linen Supply v. City of Visalia

Filing 36

STIPULATION and ORDER GRANTING the following extension of deadlines: Defendant's Supplemental Expert Disclosures due by 8/11/2106; Rebuttal Expert Discovery deadline is 8/26/2016; Expert Discovery due by 10/5/2016; Dispositive Motions filed by 12/5/2016; Pretrial Conference set for 3/22/2017 at 10:00 AM before District Judge Anthony W. Ishii; and the Jury Trial set for 5/22/2017 at 8:30 AM before District Judge Anthony W. Ishii. Order signed by Magistrate Judge Erica P. Grosjean on 8/9/2016. (Rooney, M)

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1 2 3 4 5 6 7 8 9 10 LORI J. GUALCO (Bar No. 95232) GUALCO LAW 400 Capitol Mall, Eleventh Floor Sacramento, CA 95814 Tel: (916) 930-0700 Fax: (916) 930-0705 Email: ljgualco@gualcolaw.com JAN A. GREBEN (Bar No. 103464) CHRISTINE M. MONROE (Bar No. 304573) GREBEN & ASSOCIATES 125 E. De La Guerra Street, Suite 203 Santa Barbara, CA 93101 Tel: (805) 963-9090 Fax: (805) 963-9098 Email: jan@grebenlaw.com Email: christine@grebenlaw.com Attorneys for Plaintiff MISSION LINEN SUPPLY 11 12 UNITED STATES DISTRICT COURT 13 EASTERN DISTRICT OF CALIFORNIA, FRESNO DIVISION 14 15 MISSION LINEN SUPPLY, 16 17 18 19 Case No. 1:15-cv-00672-AWI-EPG Plaintiff, JOINT STIPULATION FOLLOWING RESCHEDULING OF THE TRIAL DATE AND ORDER v. CITY OF VISALIA, Date Complaint Filed: May 1, 2015 Trial Date: May 23, 2017 at 8:30 am Defendant. 20 21 22 record, Gualco Law and Lori J. Gualco, and Greben & Associates and Jan A. Greben, and 23 Defendant City of Visalia (“Defendant City”), by and through its attorneys of record, Herr, 24 Pedersen & Berglund LLP and Leonard C. Herr and Ron Statler, having met and conferred on the 25 issue of extending the close of discovery for experts due to the trial date being continued from 26 December 13, 2016 to May 23, 2017, hereby stipulate and agree that good cause exists for a 27 further extension of expert discovery dates in this case. There have been several stipulations and 28 GUALCO LAW 400 Capitol Mall Eleventh Floor Sacramento, CA 95814 Plaintiff Mission Linen Supply (“Plaintiff Mission”), by and through its attorneys of requests for orders granting extension of discovery dates submitted to the Court in this case and 1 JOINT STIPULATION FOLLOWING RESCHEDULING OF TRIAL DATE RE: CLOSE OF EXPERT DISCOVERY AND ORDER 1 all have been granted. Given the rescheduling of the trial date to May 23, 2017, the parties have 2 stipulated and agreed that the close of discovery regarding expert witnesses be extended from 3 September 12, 2016 to October 5, 2016. Several expert witnesses in this case will most likely be 4 coordinated for joint expert depositions with the parties in the case entitled Coppola v. Paragon 5 Cleaners, Inc., et al., Case No. 1:11-CV-01257-AWI-BAM. The parties in the Coppola v. 6 Paragon Cleaners, Inc., et al., Case No. 1:11-CV-01257-AWI-BAM case are simultaneously 7 stipulating and seeking an order extending expert witness discovery from September 23, 2016 to 8 October 5, 2016. 9 Due to expert discovery being coordinated in this case and with the Coppola v. Paragon 10 Cleaners, Inc., et al. case for several joint expert depositions, the parties request that the close of 11 expert discovery in this case be extended to October 5, 2016 so that it is consistent with the 12 anticipated extended close of expert discovery date in the Coppola v. Paragon Cleaners, Inc., et 13 al., case. 14 15 16 17 18 Plaintiff Mission and Defendant City agree that the extended discovery dates shall be as follows: 1. Date of Expert Discovery Cutoff extended from September 12, 2016 to October 5, 2016. Plaintiff Mission and Defendant City jointly move for an order regarding the above date. 19 20 Dated: August 5, 2016 21 GUALCO LAW By: /s/ Lori J. Gualco LORI J. GUALCO Attorney for Plaintiff MISSION LINEN SUPPLY 22 23 GREBEN & ASSOCIATES 24 25 26 Dated: August 5, 2016 By: /s/Christine M. Monroe as authorized on 8-5-16 CHRISTINE M. MONROE Attorneys for Plaintiff MISSION LINEN SUPPLY 27 28 GUALCO LAW 400 Capitol Mall Eleventh Floor Sacramento, CA 95814 2 JOINT STIPULATION FOLLOWING RESCHEDULING OF TRIAL DATE RE: CLOSE OF EXPERT DISCOVERY AND ORDER 1 2 Dated: August 5, 2016 3 HERR PEDERSEN & BERGLUND LLP By: _/s/ Leonard C. Herr as authorized on 8- 5-16 Leonard C. Herr Ron Statler Attorneys for Defendant CITY OF VISALIA 4 5 6 ORDER 7 8 The Court has reviewed this pleading and notes that the parties have not submitted a 9 stipulation regarding the deadlines discussed at the informal discovery conference (Doc. 34), 10 including supplemental disclosures based on the production of new documents, a rebuttal expert 11 deadline, or a date for filing dispositive motions. Accordingly, the Court will add those dates in 12 accordance with the new expert discovery deadline. The new deadlines in this case are as 13 follows : 14 1. Defendant shall supplement expert disclosures based on the new documents received as 15 discussed at the informal discovery dispute hearing no later than August 11, 2016; 16 2. The rebuttal expert discovery deadline is August 26, 2016; 17 3. The expert discovery cutoff is extended from September 12, 2016 to October 5, 2016; 18 4. 19 5. The pre-trial conference will be held on March 22, 2017 at 10:00 a.m. before Judge 20 Ishii; Dispositive motions shall be filed on later than December 5, 2016; 21 22 6. The trial will be held on May 22, 2017 at 8:30 a.m. before Judge Ishii. 23 24 IT IS SO ORDERED. 25 26 Dated: August 9, 2016 /s/ UNITED STATES MAGISTRATE JUDGE 27 28 GUALCO LAW 400 Capitol Mall Eleventh Floor Sacramento, CA 95814 3 JOINT STIPULATION FOLLOWING RESCHEDULING OF TRIAL DATE RE: CLOSE OF EXPERT DISCOVERY AND ORDER 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 GUALCO LAW 400 Capitol Mall Eleventh Floor Sacramento, CA 95814 4 JOINT STIPULATION FOLLOWING RESCHEDULING OF TRIAL DATE RE: CLOSE OF EXPERT DISCOVERY AND ORDER

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