Cedarville Rancheria v. Cedarville County Water District
Filing
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STIPULATION and ORDER 16 extending deadline signed by Judge Lawrence K. Karlton on 9/12/2013. The Expert Witness Disclosure submission time line is CONTINUED to 9/27/2013. (Marciel, M)
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JACK DURAN, SBN 221704
DURAN LAW OFFICE
4010 Foothills Blvd., S-103, N.98
Roseville, CA 95747
Telephone: (916) 779-3316
Facsimile: (916) 520-3526
duranlaw@yahoo.com
Attorneys for Plaintiff CEDARVILLE
RANCHERIA
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UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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SACRAMENTO DIVISION
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CEDARVILLE RANCHERIA,
Case No.: 2:12-CV-03046-LKK-CMK
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Plaintiff,
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JOINT REQUEST TO APPROVE STIPULATION
TO EXTEND WITNESS DISCLOSURE FILING
CEDARVILLE COUNTY WATER DISTRICT, DOES 1 TIME LINE; ORDER
THROUGH 100, INCLUSIVE
v.
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Defendant
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TO THE HONORABLE JUDGE OF THE UNITED STATES DISTRICT COURT FOR THE
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EASTERN DISTRICT OF CALIFORNIA AND TO ALL PARTIES TO THE WITHIN ACTION: Jack Duran
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of Duran Law Office and Samuel L. Emerson of Best, Best & Krieger, LLP, hereby file this application to this
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Honorable Court requesting its approval of the parties’ stipulation to a two (2) week extension of time for the filing
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of Expert Witness Disclosures, from September 12, 2013 to September 27, 2013, for both plaintiff CEDARVILLE
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RANCHERIA, and defendant CEDARVILLE COUNTY WATER DISTRICT, on the following grounds:
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1.
counsel and to represent Plaintiff in this matter.
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2.
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On September 11, 2013 the Court approved Plaintiff’s request to substitute Counsel Jack Duran,
of Duran Law Office as Plaintiff’s Counsel in this matter.
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On or about September 3, 2013, Plaintiff retained the law firm of Duran Law Office as its general
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Both Counsels Request Plaintiff additional time to explore possible settlement of this matter prior
to filing Expert Witness Disclosures.
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-1JOINT REQUEST TO APPROVE STIPUATION TO EXTEND WITNESS DISCLOSURE FILING
TIMELINE; [PROPOSED] ORDER
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WHEREFORE, Jack Duran of Duran Law Office and Samuel L. Emerson, of Best, Best & Krieger, LLP.,
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respectfully request that this Honorable Court grant the instant application and approve the joint stipulation
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extending the Expert Witness Disclosure Submission period from September 12, 2013 until September 27, 2013.
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Dated this 11th day of September, 2013.
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DURAN LAW OFFICE
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s/s Jack Duran
Attorney for Plaintiff Cedarville Rancheria
Duran Law Office retains the original document with
signatures
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BEST, BEST & KRIEGER
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s/s Samuel L. Emerson
Attorney for Defendant Cedarville County Water
District
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ORDER
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On September 11, 2013, Jack Duran and Duran Law Office and Samuel L. Emerson of Best, Best &
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Krieger, LLP, filed a Request to Extend Witness Disclosure Submission date in the above-captioned matter. The
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application asks the Court to approve a stipulation between the parties to extend the Expert Witness Disclosure
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submission time line from September 12, 2013 to September 27, 2013, a two (2) week period of extension. Good
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cause appearing as the basis of the request, the request is hereby GRANTED.
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IT IS SO ORDERED.
Dated: September 12, 2013.
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-2JOINT REQUEST TO APPROVE STIPUATION TO EXTEND WITNESS DISCLOSURE FILING
TIMELINE; [PROPOSED] ORDER
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