California Sportfishing Protection Alliance v. Cameron et al

Filing 11

STIPULATION and ORDER signed by Judge William B. Shubb on 1/25/12 EXTENDING deadline of initial disclosures to 3/15/12. (Meuleman, A)

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1 2 3 4 5 6 7 John Lynn Smith (SBN 154657) Email: jlsmith@reedsmith.com Julia C. Butler (SBN 199133) Email: Jbutler@reedsmith.com REED SMITH LLP 101 Second Street, Suite 1800 San Francisco, CA 94105-3659 Telephone: +1 415 543 8700 Facsimile: +1 415 391 8269 Attorneys for Defendants USA Waste Of California, Inc. and Steve Cameron 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA REED SMITH LLP A limited liability partnership formed in the State of Delaware 10 11 CALIFORNIA SPORTFISHING PROTECTION ALLIANCE, 13 14 STIPULATION EXTENDING DEADLINE FOR MAKING INITIAL DISCLOSURES REQUIRED BY FEDERAL RULE OF CIVIL PROCEDURE 26; [PROPOSED] ORDER Plaintiff, 12 vs. USA WASTE OF CALIFORNIA, INC. AND STEVE CAMERON, 15 No.: 2:11-CV-02663-WBS-KJN Honorable William B. Shubb Defendants. 16 STIPULATION 17 18 19 20 WHEREAS, January 30, 2012 is the current date by which the parties must make the initial disclosures required by Federal Rule of Civil Procedure 26; 21 22 23 WHEREAS, the parties believe additional time is necessary to make full and complete initial disclosures; and 24 25 26 WHEREAS, the parties believe that full and complete initial disclosures can be made by March 15, 2012; 27 28 No. 2:11-CV-02663-WBS-KJN –1– STIPULATION EXTENDING DEADLINE FOR MAKING INITIAL DISCLOSURES REQUIRED BY FEDERAL RULE OF CIVIL PROCEDURE 26; [PROPOSED] ORDER 1 NOW, THEREFORE, the parties, by their respective counsel, hereby stipulate that March 2 15, 2012 shall be the new deadline for the parties to make the initial disclosures required by Federal 3 Rule of Civil Procedure 26. 4 5 DATED: January 23, 2012 6 7 REED SMITH LLP 8 By 9 REED SMITH LLP A limited liability partnership formed in the State of Delaware 10 /s/ Julia C. Butler Attorneys for Defendants USA Waste of California, Inc. and Steve Cameron 11 12 DATED: January 23, 2012 13 14 LAW OFFICES OF ANDREW L. PACKARD 15 16 By /s/ Erik M. Roper Erik M. Roper (As authorized on January 24, 2012 – L.R. 131) Attorneys for Plaintiff California Sportfishing Protection Alliance 17 18 19 20 21 22 23 24 25 26 27 28 No. 2:11-CV-02663-WBS-KJN –2– STIPULATION EXTENDING DEADLINE FOR MAKING INITIAL DISCLOSURES REQUIRED BY FEDERAL RULE OF CIVIL PROCEDURE 26; [PROPOSED] ORDER ORDER 1 2 IT IS SO ORDERED. 3 DATED: January 25, 2012 4 5 6 7 8 US_ACTIVE-108390256.2 9 REED SMITH LLP A limited liability partnership formed in the State of Delaware 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 No. 2:11-CV-02663-WBS-KJN –3– STIPULATION EXTENDING DEADLINE FOR MAKING INITIAL DISCLOSURES REQUIRED BY FEDERAL RULE OF CIVIL PROCEDURE 26; [PROPOSED] ORDER

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