Campbell v. PriceWaterhouse Coopers, LLP

Filing 601

STIPULATION and ORDER RE: TRIAL SCHEDULE signed by District Judge Troy L. Nunley on 5/6/2014 ORDERING disclosure of rebuttal expert witnesses due by 7/8/2014; completion of expert witness discovery by 8/15/2014; filing of Daubert motions by 9/5/2014 ; filing of Daubert oppositions by 9/26/2014; filing of Daubert replies by 10/10/2014; filing of Plaintiffs' Pretrial Statement by 11/25/2014; filing of PwC's Pretrial Statement by 12/16/2014; and filing of trial briefs by 3/9/2015. (Zignago, K.)

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1 2 3 4 5 6 William A. Kershaw (State Bar No. 057486) Lyle W. Cook (State Bar No. 148914) Stuart C. Talley (State Bar No. 180374) KERSHAW, CUTTER & RATINOFF, LLP 401 Watt Avenue Sacramento, CA 95864 Telephone: (916) 448-9800 Facsimile: (916) 669-4499 10 James P. Ulwick (Admitted Pro Hac Vice) Jean E. Lewis, State Bar No. 148717 KRAMON & GRAHAM, P.A. One South Street, Suite 2600 Baltimore, Maryland 21202 Telephone: (410) 752-6030 Facsimile: (410) 539-1269 11 DANIEL J. THOMASCH (Admitted Pro Hac Vice) dthomasch@gibsondunn.com LAUREN J. ELLIOT (Admitted Pro Hac Vice) lelliot@gibsondunn.com Gibson, Dunn & Crutcher LLP 200 Park Avenue New York, New York 10166-0193 Telephone: (212) 351-4000 Facsimile: (212) 351-4035 Attorneys for Plaintiffs 7 8 14 NORMAN C. HILE, SBN 57299 nhile@orrick.com JULIE A. TOTTEN, SBN 166470 jatotten@orrick.com ANDREA L. BROWN, SBN 237629 abrown@orrick.com Orrick, Herrington & Sutcliffe LLP 400 Capitol Mall, Suite 3000 Sacramento, California 95814-4497 Telephone: (916) 447-9200 Facsimile: (916) 329-4900 15 Attorneys for Defendant 9 12 13 16 UNITED STATES DISTRICT COURT 17 EASTERN DISTRICT OF CALIFORNIA 18 19 20 JASON CAMPBELL and SARAH SOBEK, individually, and on behalf of all other similarly situated current and former employees of PricewaterhouseCoopers, LLP, 21 22 CASE NO. 06-CV-02376-TLN-AC STIPULATION AND ORDER RE: TRIAL SCHEDULE Plaintiffs, vs. Complaint Filed: October 27, 2006 Assigned to: The Hon. Troy L. Nunley 23 24 25 PRICEWATERHOUSECOOPERS, LLP, a Limited Liability Partnership, Defendant. 26 27 28 -1STIPULATION AND ORDER RE: TRIAL SCHEDULE 1 Plaintiffs Jason Campbell and Sarah Sobek (“Plaintiffs”) and Defendant 2 PricewaterhouseCoopers LLP (“Defendant”), by and through their respective counsel, hereby 3 respectfully request that the Court approve and adopt the following, stipulated trial schedule: 4 WHEREAS, on February 5, 2014, the Honorable Lawrence K. Karlton entered an Order 5 recusing himself from this matter and vacating the existing trial schedule, and on that same day, 6 the case was reassigned to the Honorable Troy L. Nunley (see Dkt. 594); 7 WHEREAS, the Court’s Order of February 13, 2014 directed the parties to appear for a 8 status conference on March 6, 2014 and tentatively rescheduled the following proceedings that 9 were previously vacated by Judge Karlton’s recusal order: the Daubert Hearing for October 17, 10 2014, at 9:00 a.m.; the final pretrial conference for November 20, 2014 at 2:00 p.m.; and the trial 11 for February 2, 2015 (see Dkt. 595); 12 WHEREAS, following the March 6, 2014, status conference, the Court entered an Order 13 setting the trial date for March 30, 2015, at 9:00 a.m., the Pretrial Conference and motions in 14 limine hearing for January 29, 2015, at 2:00 p.m., and a briefing schedule for the parties’ motions 15 in limine (motions January 8, 2015, oppositions January 15, 2015, and replies January 23, 2015) 16 (see Dkt. 599); 17 WHEREAS, the parties have now met and conferred and agreed upon dates for the 18 remaining pretrial events, as follows: disclosure of rebuttal expert witnesses by July 8, 2014; 19 completion of expert witness discovery by August 15, 2014; filing of Daubert motions by 20 September 5, 2014; filing of Daubert oppositions by September 26, 2014; filing of Daubert 21 replies by October 10, 2014; filing of Plaintiffs’ Pretrial Statement by November 25, 2014; filing 22 of PwC’s Pretrial Statement by December 16, 2014; and filing of trial briefs by March 9, 2015; 23 IT IS HEREBY STIPULATED AND AGREED by and between Plaintiffs and Defendant, 24 by and through their respective undersigned counsel, that the following schedule of pretrial events 25 and filings be adopted: 26 27 28 -2STIPULATION AND ORDER RE: TRIAL SCHEDULE 1 EVENT/FILING DATE 2 Disclosure of Rebuttal Expert Witnesses Completion of Expert Witness Discovery Daubert Motions Daubert Oppositions Daubert Replies Daubert Hearing Plaintiffs’ Pretrial Statement PwC’s Pretrial Statement Motions in Limine MIL Oppositions MIL Replies MIL Hearing Final Pretrial Conference Trial Briefs Trial 7/8/14 3 4 5 6 7 8 9 10 11 8/15/14 9/5/14 9/26/14 10/10/14 10/17/14 11/25/14 12/16/14 1/8/15 1/15/15 1/23/15 1/29/15 1/29/15 3/9/15 3/30/15 12 13 KERSHAW, CUTTER & RATINOFF, LLP Dated: May 1, 2014 14 15 By: 16 17 /s/ William A. Kershaw WILLIAM A. KERSHAW Attorneys For Plaintiffs Jason Campbell and Sarah Sobek 18 19 Dated: May 1, 2014 GIBSON DUNN & CRUTCHER LLP 20 21 By: 22 /s/ Daniel J. Thomasch DANIEL J. THOMASCH Attorneys For Defendant PricewaterhouseCoopers LLP 23 24 25 26 27 28 IT IS SO ORDERED. Dated: May 6, 2014 Troy L. Nunley United States District Judge -3STIPULATION AND ORDER RE: TRIAL SCHEDULE

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