Cedarville Rancheria v. Cedarville County Water District

Filing 19

STIPULATION and ORDER signed by Judge Lawrence K. Karlton on 9/27/13 ORDERING that the Request to Continue Witness Disclosure filing date is CONTINUED from 9/27/13 to 10/27/2013. (Mena-Sanchez, L)

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1 2 3 4 5 6 7 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 8 UNITED STATES DISTRICT COURT 9 FOR THE EASTERN DISTRICT OF CALIFORNIA - 10 11 SACRAMENTO DIVISION CEDARVILLE RANCHERIA, 12 13 Plaintiff, v. 14 CEDARVILLE COUNTY WATER DISTRICT, DOES 1 THROUGH 100, 16 INCLUSIVE Case No.: 2:12-CV-03046-LKK-CMK JOINT REQUEST TO CONTINUE STIPULATION TO EXTEND WITNESS DISCLOSURE FILING TIME LINE; ORDER 15 Defendant. 17 18 TO THE HONORABLE JUDGE OF THE UNITED STATES DISTRICT COURT 19 20 21 FOR THE EASTERN DISTRICT OF CALIFORNIA AND TO ALL PARTIES TO THE WITHIN ACTION: Jack Duran of Duran Law Office and Samuel L. Emerson of Best Best & Krieger, 22 23 24 25 26 27 28 . LLP, hereby file this application to this Honorable Court requesting its approval of the parties stipulation to a four (4) week extension of time for the filing of Expert Witness Disclosures, from September 27, 2013 to October 27, 2013, for both plaintiff CEDARVILLE RANCHERIA, and CEDARVILLE COUNTY WATER DISTRICT, on the following grounds: //// - 1JOINT REQUEST TO CONTINUE STIPULATION TO EXTEND WITNESS DISCLOSURE FILING TIME LINE; [PROPOSED] ORDER 1 2 3 4 5 On or about September 3, 2013, Plaintiff retained the law firm of Duran Law Office as its general counsel and to represent Plaintiff in this matter. 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. The Court has previously approved a two (2) week extension for good cause. Both 6 Counsels Request Plaintiff additional time to further explore possible settlement of this 7 matter prior to filing Expert Witness Disclosures. 8 WHEREFORE, Jack Duran of Duran Law Office and Samuel L. Emerson, of Best, 9 Best & Krieger, LLP., respectfully request that this Honorable Court grant the instant 10 application and approve the joint stipulation extending the Expert Witness Disclosure 11 Submission period from September 27, 2013 until October 27, 2013. 12 13 14 Dated this 25th day of September, 2013. DURAN LAW OFFICE 15 16 s/s Jack Duran 17 Attorney for Plaintiff Cedarville Rancheria Duran Law Office retains the original document with signatures 18 . 19 20 21 BEST, BEST & KRIEGER 22 s/s Samuel L. Emerson Attorney for Defendant Cedarville County Water District 23 . 24 25 26 27 28 . - 2JOINT REQUEST TO CONTINUE STIPULATION TO EXTEND WITNESS DISCLOSURE FILING TIME LINE; [PROPOSED] ORDER 1 2 ORDER 3 4 On September 27, 2013, Jack Duran and Duran Law Office and Samuel L. Emerson 5 of Best, Best & Krieger, LLP, filed a Request to Extend Witness Disclosure Submission date 6 in the above-captioned matter. The application asks the Court to approve a stipulation 7 between the parties to extend the Expert Witness Disclosure submission time line from 8 September 27, 2013 to October 27, 2013, a four (4) week period of extension. Good cause 9 appearing as the basis of the request, the request is hereby GRANTED. 10 11 IT IS SO ORDERED. 12 13 Dated this 27th day of September, 2013. 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 . - 3JOINT REQUEST TO CONTINUE STIPULATION TO EXTEND WITNESS DISCLOSURE FILING TIME LINE; [PROPOSED] ORDER

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