Corcoran v. Perry et al
Filing
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STIPULATION and ORDER 19 extending deadline signed by Magistrate Judge Dale A. Drozd on 8/22/2014. Disclosure of Expert Witnesses is now due 10/10/2014 and Rebuttal Expert Disclosure is now due 10/29/2014. (Marciel, M)
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Derek H. Lim (Bar No. 209496)
ARCHER NORRIS
2033 North Main Street, Suite 800
Walnut Creek, CA 94596-3759
Telephone:
925.930.6600
Facsimile:
925.930.6620
E-mail:
dlim@archernorris.com
Attorneys for Defendants
CLIFFORD FRANK PERRY, JR. (erroneously sued herein
as CLIFFORD FRANK PERRY) and KNIGHT
TRANSPORTATION, INC.
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UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA, SACRAMENTO DIVISION
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JOY ANN CORCORAN,
No. 2:13-cv-01511 WBS DAD
Plaintiff,
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STIPULATION AND ORDER TO
CONTINUE EXPERT DISCLOSURES
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v.
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CLIFFORD FRANK PERRY; KNIGHT
TRANSPORTATION, INC; and DOES 1 TO
10,
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Defendants.
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Plaintiff Joy Ann Corcoran (“Plaintiff”) and Defendants Clifford Frank Perry, Jr. and
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Knight Transportation, Inc. (collectively “Defendants”) hereby stipulate by and through their
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undersigned counsel of record to a brief continuance of the expert disclosure deadlines in this
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matter:
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Event
Current Deadline
Proposed Deadline
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Expert disclosure
September 8, 2014
October 10, 2014
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Rebuttal expert disclosure
October 10, 2014
October 29, 2014
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All of the remaining dates including the final pre-trial conference date of February 17,
2015 and the trial date of May 5, 2015 will remain intact.
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K0155001/1886769-1
DEFS. CLIFFORD FRANK PERRY, JR. AND KNIGHT TRANSPORTATION, INC.’S
No. 2:13-01511
WBS DAD
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The parties have been diligently proceeding with discovery in this matter. The parties
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have exchanged written discovery and Plaintiff has undergone an IME. Moreover, the
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deposition of Plaintiff Joy Corcoran, Pete Corcoran, Officer Redding and Dr. Kimberly Page
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have been completed. A brief continuance of the expert disclosure dates is requested because
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the parties are engaging in settlement discussions and have reserved a mediation with mediator
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Buzz Weisenfeld on September 3, 2014. The parties would like to engage in settlement
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discussions prior to the disclosure of experts and the exchange of expert reports.
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IT IS SO STIPULATED.
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Dated: August 20, 2014
ALTEMUS & WAGNER
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/s/ Stewart C. Altemus
By: ________________________
Stewart C. Altemus
Attorneys for Plaintiff
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Dated: August 20, 2014
ARCHER NORRIS
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/s/ Derek H. Lim
By: ________________________
Derek H. Lim
Attorneys for Defendants
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ORDER
Pursuant to the parties’ stipulation, IT IS SO ORDERED.
Dated: August 22, 2014
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Ddad1\orders.civil\corcoran1511.stip.eot2.ord.doc
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K0155001/1886769-1
DEFS. CLIFFORD FRANK PERRY, JR. AND KNIGHT TRANSPORTATION, INC.’S
No. 2:13-01511
WBS DAD
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