Brazill v. California Northstate College of Pharmacy, LLC et al

Filing 37

STIPULATION and ORDER signed by Magistrate Judge Edmund F. Brennan on 6/19/13 ORDERING it is hereby stipulated and agreed by all parties, by and through their counsel whose signatures appear below, that the date for expert disclosure shall be extended three weeks to July 8, 2013. (Becknal, R)

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1 2 3 4 LAW OFFICES OF JOHNNY L. GRIFFIN, III JOHNNY L. GRIFFIN, III (SBN 118694) MANOLO H. OLASO (SBN 195629) 1010 F Street, Suite 200 Sacramento, California 95814 Telephone: (916) 444-5557 Fax: (916) 444-5558 5 Attorneys for Plaintiff BRADLEY BRAZILL 6 7 8 9 10 WILLIAM A. MUNOZ (SBN 191649) BRITTANY NG (267581) MURPHY, PEARSON, BRADLEY & FEENEY 520 Capitol Mall Ste 250 Sacramento, CA 95814 Telephone: (916) 565-0300 Attorneys for Defendant CALIFORNIA NORTHSTATE COLLEGE OF PHARMACY, LLC 11 12 UNITED STATES DISTRICT COURT 13 FOR THE EASTERN DISTRICT OF CALIFORNIA 14 BRADLEY BRAZILL, 15 Plaintiff, 16 17 18 vs. CALIFORNIA NORTHSTATE COLLEGE OF PHARMACY, LLC, Defendant. 19 Law Offices of Johnny L. Griffin III 1010 F Street, Suite 200; Sacramento, CA 95814 (916) 444-5557 www.johnnygriffinlaw.com 20 21 22 STIPULATION AND ORDER TO EXTEND DATE FOR EXPERT DISCLSOURE set for October 15, 2013. Whereas, expert disclosure is due currently on June 17, 2013 and discovery cut off is August 1, 2013. 25 26 Case No. 2:12-CV-01218-WBS-EFB Whereas, trial in this matter is set for November 26, 2013, and the final pretrial conference is 23 24 ) ) ) ) ) ) ) ) ) ) ) ) ) Whereas, the Court ruled on defendants’ motion for summary judgment recently, on June 5, 2013. 27 28 Stipulation and Order to Extend Date for Expert Disclosure Case No. 2:12-CV-01218-WBS-GGH 1 1 Whereas, the parties wish to extend the time for expert disclosure, for a period of three 2 weeks, to July 8, 2013. Plaintiff, in particular, stipulates to an extension in order to finalize his 3 expert(s) list to include those experts whose expertise will relate specifically to his remaining age 4 discrimination claim. 5 Therefore, it is hereby stipulated and agreed by all parties, by and through their counsel 6 whose signatures appear below, that the date for expert disclosure shall be extended three weeks to 7 July 8, 2013. 8 9 Respectfully submitted, 10 Dated: June 17, 2013 11 12 /s/ Manolo Olaso Manolo Olaso Law Offices of Johnny L. Griffin, III Attorneys for Plaintiff BRADLEY BRAZILL 13 14 15 William A. Munoz has reviewed this Stipulation and Proposed Order and has authorized the filer to sign on his behalf for purposes of electronic filing. 16 17 Dated: June 17, 2013 18 Law Offices of Johnny L. Griffin III 1010 F Street, Suite 200; Sacramento, CA 95814 (916) 444-5557 www.johnnygriffinlaw.com 19 /s/ William A. Munoz WILLIAM A. MUNOZ MURPHY, PEARSON, BRADLEY & FEENEY Attorneys for Defendant CALIFORNIA NORTHSTATE COLLEGE OF PHARMACY, LLC 20 21 PURSUANT TO STIPULATION, IT IS SO ORDERED. 22 23 Dated: June 19, 2013. 24 25 26 27 28 Stipulation and Order to Extend Date for Expert Disclosure Case No. 2:12-CV-01218-WBS-GGH 2

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