Federal Deposit Insurance Corporation v. Varrasso et al
Filing
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STIPULATION and ORDER signed by Senior Judge William B. Shubb on 12/4/2012 71 Disclosure of Expert Witnesses Reset to 1/31/2013, Rebuttal Filing Deadline: 2/28/2013. (Reader, L)
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SUSAN D. CONDON (State Bar No. 143417)
scondon@gcalaw.com
VALERIE M. WAGNER (State Bar No. 173146)
vwagner@gcalaw.com
GCA LAW PARTNERS LLP
1891 Landings Dr.
Mountain View, CA 94043
Telephone: (650) 428-3900
Facsimile: (650) 428-3901
Attorneys for FEDERAL
DEPOSIT INSURANCE
CORPORATION as Receiver for
INDYMAC BANK, F.S.B.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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SACRAMENTO
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FEDERAL DEPOSIT INSURANCE
CORPORATION as Receiver for
INDYMAC BANK, F.S.B.,
Plaintiff,
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vs.
RICHARD K. VARRASSO dba
Richard Varrasso and Associates and
AppraisalTrust.com, an individual;
PREMIER VALLEY, INC. dba
CENTURY 21 M&M ASSOCIATES, a
California corporation; and KAREN
BHATTI, an individual,
Case No. CIV. 2:11-2628 WBS CKD
STIPULATION AND PROPOSED
ORDER TO MODIFY
SCHEDULING ORDER
Honorable William B. Shubb
Trial: April 16, 2013
Defendants.
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STIPULATION
In light of this Court’s Order granting Defendants’ Motion for Leave to
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File a Third Party Complaint (Document 68), the parties, Plaintiff Federal
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Deposit Insurance Corporation as Receiver for IndyMac Bank, F.S.B. and
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Defendants Richard Varrasso, Premier Valley Inc. dba Century 21 M&M
GCA Law Partners LLP
1891 Landings Drive
Mountain View, CA 94043
(650)428-3900
Stipulation to Extend Discovery Deadlines
Case No. CIV. 2:11-2628 WBS CKD
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Associates, and Karen Bhatti by and through their counsel of record or
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personally hereby stipulate and agree to modify the Pretrial Scheduling Order.
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While the Third Party Defendants have not yet appeared in this matter, the
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deadlines have arrived to disclose experts and rebuttal experts (November 30 and
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December 31, 2012, respectively). Given that the scope of the information for
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expert investigation and opinion will increase with the appearance of the third
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party defendants and that the parties wish to complete additional discovery
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before finalizing expert reports, the parties wish to extend the disclosure
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deadlines until after the third party defendants have appeared and the Court has
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an opportunity to more thoroughly revisit the scheduling order. Therefore, the
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parties hereby stipulate and respectfully request that the deadline to disclose
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experts be extended until January 31, 2013 for initial disclosure and February 28,
2013 for rebuttal.
No other provision of the Pretrial Scheduling Order is to be modified at
this time.
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IT IS SO STIPULATED.
DATED: November 30, 2012
GCA LAW PARTNERS LLP
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By:___/s/ Susan Condon__________
SUSAN CONDON
Attorney for Plaintiff FEDERAL
DEPOSIT INSURANCE
CORPORATION as RECEIVER for
INDYMAC BANK, F.S.B.
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GCA Law Partners LLP
1891 Landings Drive
Mountain View, CA 94043
(650)428-3900
Stipulation to Extend Discovery Deadlines
Case No. CIV. 2:11-2628 WBS CKD
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DATED: November 30, 2012
TRIEBSCH & FRAMPTON
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By:___/s/ Cory B. Chartrand_____
CORY B. CHARTRAND
Attorneys for Defendants, PREMIER
VALLEY, INC., DBA CENTURY
21 M&M AND ASSOCIATES, and
KAREN BHATTI
(as Authorized on November 30,
2012)
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DATED: December 3, 2012
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Richard Varrasso
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By:___/s/ Richard Varrasso_____
Appearing Pro Se
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(as Authorized on December 3, 2012)
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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DATED: December 4, 2012
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GCA Law Partners LLP
1891 Landings Drive
Mountain View, CA 94043
(650)428-3900
Stipulation to Extend Discovery Deadlines
Case No. CIV. 2:11-2628 WBS CKD
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