Rios v. Tilton, et. al.

Filing 144

ORDER signed by Magistrate Judge Kendall J. Newman on 10/29/13 ORDERING that Discovery, previously closed by this Court on March 16, 2012, is hereby reopened for the limited purpose of Plaintiff deposing Defendants Mayfield, Parker, and Brandon, and a Federal Rule of Civil Procedure (Rule) 30(b)(6) witness on California prison policies and procedures for classifying gang associates and for removing names from the gang associate list. Plaintiff may also, for the Rule 30(b)(6) witness, ser ve a subpoena duces tecum for production of all written policies, procedures, and guidelines, etc., for validating someone as a gang member and for removing someone from the gang associate list. The Parties shall make reasonable efforts to take and conclude the depositions in Sacramento by the end of 2013. (Dillon, M)

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1 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 RENO FUENTES RIOS, 12 Plaintiff, 13 14 v. J.E. TILTON, et al., 15 CASE NO. 2:07-cv-00790 WBS KJN P [PROPOSED] ORDER GRANTING THE STIPULATION TO AMEND THE SCHEDULING ORDER FOR THE LIMITED PURPOSE OF TAKING DEPOSITIONS Defendants. 16 17 18 19 The Parties having stipulated thereto, and good cause appearing therefor, the Parties’ Stipulation To Amend The Scheduling Order For The Limited Purposes of Taking Depositions is GRANTED. 20 21 22 23 24 25 26 27 28 /// /// /// /// /// /// /// /// 1 Discovery, previously closed by this Court on March 16, 2012, is hereby reopened for the 2 limited purpose of Plaintiff deposing Defendants Mayfield, Parker, and Brandon, and a Federal 3 Rule of Civil Procedure (“Rule”) 30(b)(6) witness on California prison policies and procedures 4 for classifying gang associates and for removing names from the “gang associate” list. Plaintiff 5 may also, for the Rule 30(b)(6) witness, serve a subpoena duces tecum for production of all 6 written policies, procedures, and guidelines, etc., for validating someone as a gang member and 7 for removing someone from the “gang associate” list. The Parties shall make reasonable efforts 8 to take and conclude the depositions in Sacramento by the end of 2013. 9 Dated: October 28, 2013 DLA PIPER LLP (US) 10 By: /s/ Ashley H. Joyce ASHLEY H. JOYCE Attorneys for Plaintiff Reno Fuentes Rios 11 12 13 14 Dated: October 28, 2013 KAMALA D. HARRIS Attorney General of California MONICA N. ANDERSON Supervising Deputy Attorney General 15 16 17 By: /s/ David A. Carrasco DAVID A. CARRASCO Deputy Attorney General Attorneys for Defendants Tilton, Mayfield, Parker, Lockwood, and Brandon 18 19 20 21 22 IT IS SO ORDERED. Dated: October 29, 2013 23 24 25 26 27 28 -2-

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