Riddick et al v. AT&T Inc.

Filing 124

CORRECTED STIPULATION and ORDER MODIFYING PRETRIAL SCHEDULE, ONLY AS TO DISCLOSURE OF EXPERTS signed by District Judge Kimberly J. Mueller on 6/28/17. The parties will exchange revised or restated initial expert disclosures on or before 6/23/17. The parties will exchange any supplement expert disclosures on or before 7/14/17. Any expert depositions must be noticed and completed by or before 8/31/17. The parties agree to serve expert reports and expert documents on each other 7 days prior to the expert's deposition.(Mena-Sanchez, L)

Download PDF
1 2 3 4 5 6 7 DAVID B. SIMPSON (STATE BAR NO. 106326) dave@wolfsim.com ADAM N. BOUAYAD (STATE BAR NO. 248087) adam@wolfsim.com WOLFLICK AND SIMPSON 130 North Brand Boulevard, Suite 410 Glendale, California 91203 Telephone: 818-243-8300 Facsimile: 818-243-0122 Attorneys for Defendant YP ADVERTISING & PUBLISHING LLC, sued and formerly known as YP WESTERN DIRECTORY LLC 8 9 10 11 12 13 EDWIN PAIRAVI (STATE BAR NO. 257290) edwin@pairavilaw.com PAIRAVI LAW, P.C. 1875 Century Park East, Suite 1025 Los Angeles, California 90067 Telephone: 310-789-2063 Facsimile: 310-789-2064 Attorneys for Plaintiffs June Riddick, Patricia Hardy, Natalie Maderos, and Valerie Lynn 14 15 UNITED STATES DISTRICT COURT 16 EASTERN DISTRICT OF CALIFORNIA 17 18 JUNE RIDDICK; PATRICIA HARDY; NATALIE MADEROS; VALERIE LYNN; and LISA VALES, 19 20 21 22 23 Plaintiffs, v. AT&T; YP WESTERN DIRECTORY LLC, Case No. 2:12-CV-02033-KJM-AC CORRECTED STIPULATION FOR ORDER MODIFIYING PRETRIAL SCHEDULE, ONLY AS TO DISCLOSURE OF EXPERTS; PROPOSED ORDER THEREON Defendant. 24 25 Plaintiffs June Riddick, Patricia Hardy, Natalie Maderos and Valerie Lynn 26 (“Plaintiffs”), and Defendant YP Western Directory LLC (“YP”), by and through 27 their undersigned counsel of record, here by stipulate, and by this Stipulation 28 request the Court's approval, to the following: CORRRECTED STIPULATION AND ORDER FOR MODIFICATION OF SCHEDULING ORDER RE: EXPERTS ONLY 2:12-CV-02033-KJM-AC 1 2 3 4 5 6 7 8 9 10 11 12 13 1. expert disclosures. However, because of the inevitability of the Summary Judgment Motion filed by Defendant, and to economize for their clients, the parties deferred designating supplemental experts and conducting expert depositions until both sides knew what the trial issues would be. 2. Stipulation a modification of the Scheduling Order for the disclosure of expert witnesses and the taking of expert depositions. Counsel note for the Court that nothing in this Stipulation would require any change or modification to the current Trial or Pretrial Conference date, or the corresponding due dates for any related pretrial or trial filings. The parties have agreed on the following schedule as best serving their clients’ interests and the interests of a just adjudication of this matter: a. The parties will exchange revised or restated initial expert 15 disclosures on or before June 23, 2017. 16 b. The parties will exchange any supplement expert 17 disclosures on or before July 14, 2017. 18 c. Any expert depositions must be noticed and completed by 19 or before August 31, 2017. 20 d. The parties agree to serve expert reports and expert 21 documents on each other 7 days prior to the expert’s 22 24 25 26 The Court having now ruled on that Summary Judgment Motion, Counsel have consulted cooperatively and in good faith, and hereby request by this 14 23 During the litigation, the parties did timely notify each other of initial deposition. 3. The parties do not make this Stipulated request for purposes of delay or out of a lack of diligence, but rather, make it in the interests of an economic and just litigation of this matter for all parties. The schedule contemplated herein is not intended to, nor should or shall it, interfere with any of the Court’s other trial or 27 28 -1- STIPULATION AND ORDER RE MODIFICATION OF SCHEDULING ORDER 2:12-CV-02033-KJM-AC 1 2 3 pretrial due dates, nor with counsel’s obligations or ability to comply with that trial/pretrial schedule. IT IS SO STIPULATED: 4 5 Dated: June 15, 2017 WOLFLICK & SIMPSON 6 7 /s/ David B. Simpson DAVID B. SIMPSON Attorneys for Defendant YP ADVERTISING & PUBLISHING LLC, sued and formerly known as YP WESTERN DIRECTORY LLC By: 8 9 10 11 12 Dated: June 15, 2017 PAIRAVI LAW, P.C. 13 14 By: /s/ Edwin Pairavi EDWIN PAIRAVI Attorneys for Plaintiffs June Riddick, Patricia Hardy, Natalie Maderos, and Valerie Lynn 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -2- STIPULATION AND ORDER RE MODIFICATION OF SCHEDULING ORDER 2:12-CV-02033-KJM-AC 1 ORDER 2 3 IT IS HEREBY ORDERED 4 Pursuant to the stipulation between the Plaintiffs JUNE RIDDICK, 5 PATRICIA HARDY, NATALIE MADEROS and VALARIE LYNN (“Plaintiffs”), 6 and Defendant YP WESTERN DIRECTORY LLC: 7 8 9 10 11 12 13 14 1. The parties will exchange revised or restated initial expert disclosures on or before June 23, 2017. 2. The parties will exchange any supplement expert disclosures on or before July 14, 2017. 3. Any expert depositions must be noticed and completed by or before August 31, 2017. 4. The parties agree to serve expert reports and expert documents on each other 7 days prior to the expert’s deposition. 15 16 17 IT IS SO ORDERED. DATED: June 28, 2017. 18 19 UNITED STATES DISTRICT JUDGE 20 21 22 23 24 25 26 27 28 -3- STIPULATION AND ORDER RE MODIFICATION OF SCHEDULING ORDER 2:12-CV-02033-KJM-AC

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?