Gangstee et al v. County of Sacramento et al

Filing 21

STIPULATION and ORDER 20 signed by District Judge Kimberly J. Mueller on 7/11/11; The expert witness disclosure cut-off date currently set for July 15, 2011 be moved to July 29, 2011; The supplemental expert witness disclosure cut-off date currently set for August 5, 2011 be moved to August 12, 2011.(Matson, R)

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1 2 3 4 5 LAW OFFICE OF STEWART KATZ Stewart Katz, SBN 127425 Guy Danilowitz, SBN 257733 555 University Avenue, Suite 270 Sacramento, CA 95825 Telephone: (916) 444-5678 Facsimile: (916) 444-3364 Attorneys for Plaintiffs 6 7 8 9 10 11 12 LONGYEAR, O’DEA & LAVRA, LLP John Lavra, SBN 114533 Jeri Pappone, SBN 210104 3620 American River Drive, Suite 230 Sacramento, CA 95864 Telephone: (916) 974-8500 Facsimile: (916) 974-8510 Attorneys for Defendants, County of Sacramento, John McGinness, Stephen LeCouve 13 14 15 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 16 17 18 19 20 DEANNA GANGSTEE and JORDAN CHAMBERS Plaintiffs, vs. 21 STIPULATION AND ORDER MODIFYING PRETRIAL SCHEDULING ORDER COUNTY OF SACRAMENTO, et al., 22 NO. 2:10-CV-01004-KJM-GGH Defendants. ___________________________________/ 23 24 COME NOW THE PARTIES by and through their respective parties and subject to the approval of this Court, hereby stipulate and respectfully request the following 25 modifications and/or amendments to this Court’s July 7, 2010 Status (Pretrial Scheduling) 26 Order (Docket #13), as modified by the Court’s January 5, 2011 and April 19, 2011 Orders 27 28 (Docket #s15 and 19), regarding the scheduling of this case: 1 That the expert witness disclosure cut-off date currently set for July 15, 2011 be 2 moved to July 29, 2011. 3 That the supplemental expert witness disclosure cut-off date currently set for 4 August 5, 2011 be moved to August 12, 2011. 5 This calendaring modification is requested because the experts on both sides are 6 waiting for deposition transcripts before completing their reports and the parties wish to 7 avoid the time and expense of having to submit supplemental expert disclosures. 8 9 10 The above-requested modifications will not affect any other deadlines currently set in this matter including the expert discovery cut-off date which is currently set for September 16, 2011. 11 12 Dated: July 7, 2011 13 LAW OFFICE OF STEWART KATZ /s/ Stewart Katz STEWART KATZ, Attorneys for Plaintiffs 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Dated: July 7, 2011 LONGYEAR, O’DEA & LAVRA, LLP /s/ John Lavra JOHN LAVRA Attorneys for Defendants, County of Sacramento, John McGinness, Stephen LeCouve 1 IT IS SO ORDERED. 2 Dated: July 11, 2011. 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 UNITED STATES DISTRICT JUDGE

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