Hediger et al v. Pride Industries, Inc. et al
Filing
36
STIPULATION and ORDER signed by Judge Garland E. Burrell, Jr. on 08/15/12 ORDERING that the date to Designate of Expert Witnesses is 01/09/13 with any supplemental disclosure of experts due 01/23/13. (Benson, A.)
1
Law Offices of
2
MICHAEL A. BISHOP, ESQ. (SBN 105063)
3638 American River Drive
Sacramento, California 95864
Telephone:
(916) 978-3434
Facsimile:
(916) 978-3430
3
4
5
MATHENY SEARS LINKERT & JAIME, LLP
Attorneys for Defendants PRIDE INDUSTRIES,
INC., and PRIDE INDUSTRIES ONE., INC.
6
7
3638 AMERICAN RIVER DRIVE
SACRAMENTO, CALIFORNIA 95864
LAW OFFICES OF
MATHENY SEARS LINKERT & JAIME, LLP
8
9
UNITED STATES DISTRICT COURT
10
FOR THE EASTERN DISTRICT OF CALIFORNIA
11
12
13
14
15
Case No. 2:09-cv-1858 GEB GGH
UNITED STATES OF AMERICA, ex. rel.
TIMOTHY HEDIGER AND LOIS PEREZ,
STIPULATION AND ORDER TO
EXTEND DEADLINES FOR
DISCLOSURE OF EXPERT
WITNESSES
Plaintiffs,
v.
PRIDE INDUSTRIES, INC., and PRIDE
INDUSTRIES ONE, INC.,
16
Defendants.
17
18
19
Plaintiffs TIMOTHY
HEDIGER
and
LOIS
PEREZ
and Defendants PRIDE
20
INDUSTRIES, INC., and PRIDE INDUSTRIES ONE, INC., hereby stipulate and agree to
21
continue the deadline to exchange initial expert witness disclosures and rebuttal expert witness
22
disclosures. The current deadline for the exchange of initial expert witness disclosures is October
23
1, 2012, and rebuttal expert disclosures are due by November 1, 2012. Discovery does not close
24
until February 15, 2013. The parties are currently in fact
25
requests for admission, requests for production of documents and special interrogatories.
26
late August, and Defendants have requested an extension of 28
27
days.
28
1
Stipulation and Order to Extend Deadlines for Disclosure of Expert Witnesses
1
Defendant also served written discovery and requests for documents to the plaintiffs.
2
Extensions were also granted for plaintiffs to respond.
The parties are currently conferring
3
regarding scheduling depositions of various fact witnesses, as well as potential mediation. The
4
5
or other scheduled case matters.
3638 AMERICAN RIVER DRIVE
SACRAMENTO, CALIFORNIA 95864
through their respective attorneys that the deadlines relating to expert disclosures be continued as
8
LAW OFFICES OF
IT IS THEREFORE HEREBY STIPULATED by and between the parties hereto
7
MATHENY SEARS LINKERT & JAIME, LLP
6
follows:
9
1.
Disclosure of expert witnesses - January 9, 2013;
10
2.
Supplemental disclosure of experts
January 23, 2013;
11
12
Dated: August 14, 2012
MATHENY SEARS LINKERT & JAIME, LLP
13
By:
/s/ MICHAEL A. BISHOP
MICHAEL A. BISHOP, ESQ.
N. KATE JEFFRIES, ESQ.
Attorneys for Defendants PRIDE
INDUSTRIES, INC., and PRIDE
INDUSTRIES ONE., INC.
By:
14
/s/ MICHAEL A. HIRST, ESQ.
as authorized on 8/13/12
MICHAEL A. HIRST, ESQ.
Attorney for Plaintiffs TIMOTHY
HEDIGER and LOIS PEREZ
15
16
17
18
Dated: August 13, 2012
19
20
21
22
23
24
25
26
27
28
IT IS SO ORDERED.
August 15, 2012
Dated: _________________
__________________________________________
HON. GARLAND E. BURRELL, JR.
JUDGE OF THE UNITED STATES DISTRICT
COURT, EASTERN DISTRICT OF CALIFORNIA
2
Stipulation and Order to Extend Deadlines for Disclosure of Expert Witnesses
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?