Corcoran v. Perry et al

Filing 16

STIPULATION and ORDER signed by Magistrate Judge Dale A. Drozd on 5/9/14 ORDERING that Expert Disclosure deadline is CONTINUED from 6/9/14 to 9/8/2014. Rebuttal Expert Disclosure deadline is CONTINUED from 7/8/14 to 10/10/2014. Discovery Cut-off is CONTINUED from 11/5/14 to 12/15/2014. Motion Hearing Schedule deadline is CONTINUED from 12/5/14 to 1/6/2015. The Final Pre-Trial Conference date of 2/17/15 and the Trial date of 5/5/15 will remain intact.(Mena-Sanchez, L)

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1 2 3 4 5 6 Derek H. Lim (Bar No. 209496) dlim@archernorris.com ARCHER NORRIS 2033 North Main Street, Suite 800 Walnut Creek, CA 94596-3759 Telephone: 925.930.6600 Facsimile: 925.930.6620 Attorneys for Defendants CLIFFORD FRANK PERRY, JR. (erroneously sued herein as CLIFFORD FRANK PERRY) and KNIGHT TRANSPORTATION, INC. 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 SACRAMENTO DIVISION 11 12 JOY ANN CORCORAN, Plaintiff, 13 14 v. 15 CLIFFORD FRANK PERRY; KNIGHT TRANSPORTATION, INC.; and DOES 1 TO 10, 16 17 No. 2:13-cv-01511 WBS DAD STIPULATION AND ORDER TO CONTINUE DISCOVERY CUT-OFF DATE; DEADLINE TO COMPLETE EXPERT DISCLOSURES, AND MOTION HEARING CUT-OFF Defendants. 18 19 Plaintiff Joy Ann Corcoran (“Plaintiff”) and Defendants Clifford Frank Perry, Jr. and 20 Knight Transportation, Inc. (collectively “Defendants”) hereby stipulate by and through their 21 undersigned counsel of record to continue the following deadlines in the above matter: 22 Event Current Deadline Proposed Deadline Expert disclosure June 9, 2014 September 8, 2014 Rebuttal expert disclosure July 8, 2014 October 10, 2014 Discovery cut-off November 5, 2014 December 15, 2014 27 Motion Hearing Schedule December 5, 2014 January 6, 2015 28 ///// 23 24 25 26 K0155001/1812140-1 STIPULATION AND ORDER TO CONTINUE DISCOVERY 2:13-01511 WBS DAD 1 2 3 The final pre-trial conference date of February 17, 2015 and the trial date of May 5, 2015 will remain intact. The parties have been diligently proceeding with discovery in this matter. The parties 4 have exchanged initial disclosures and served written discovery. Moreover, the deposition of 5 6 Plaintiff Joy Corcoran is set for May 9, 2014 and an IME is set for May 12, 2014. A 7 continuance of the foregoing dates is reque sted because the parties are pursuing mediation and 8 would like the opportunity to conduct further discovery should the matter not resolve at 9 mediation. In addition, the handling attorney for Defendants, Derek Lim, recently changed law 10 11 firms to Archer Norris. In light of the foregoing, the parties seek a continuance of the applicable deadlines as proposed above. 12 13 IT IS SO STIPULATED. 14 Dated: May 6, 2014 ALTEMUS & WAGNER 15 16 By: /s/ Stewart C. Altemus Stewart C. Altemus Attorneys for Plaintiff 17 18 Dated: May 6, 2014 ARCHER NORRIS 19 20 By: /s/ Derek H. Lim Derek H. Lim Attorneys for Defendants 21 22 ORDER 23 Pursuant to the parties’ stipulation, IT IS SO ORDERED. 24 Dated: May 9, 2014 25 26 Ddad1\orders.civil\ corcoran1511.stip.eot.deadlines.ord.docx 27 28 K0155001/1812140-1 2 STIPULATION AND ORDER TO CONTINUE DISCOVERY 2:13-01511 WBS DAD

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