De La Torre et al v. Swift Transportation Company et al

Filing 57

STIPULATION and ORDER RESETTING RULE 26(a)(2)(B) AND (C) DISCLOSURE DATES signed by Judge Garland E. Burrell, Jr., on 11/5/14. Initial expert witness disclosure pursuant to Federal Rule of Civil Procedure 26(a)(2)(B) and (C) is CONTINUED to on or before 1/30/2015. Contradictory and/or Rebuttal expert disclosures pursuant to Federal Rule of Civil Procedure 26 (a)(2)(D)(ii) is CONTINUED to on or before 2/27/2015. (Kastilahn, A)

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1 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA, SACRAMENTO DIVISION 10 JUAN JACOB DE LA TORRE and ZALEEYA DE LA TORRE, individually and 11 as decedent Juan De La Torre's successors in interest, minors by and through their Guardian 12 Ad Litem, VIVICA GONZALEZ; VIVICA GONZALEZ, an individual; and GRACIELA 13 ARELLANO, an individual, Case No. 2:13-CV-01786-GEB-DAD STIPULATION AND ORDER RESETTING RULE 26(a)(2)(B) AND (C) DISCLOSURE DATES Trial Date: 14 November 3, 2015 Plaintiffs, v. 15 SWIFT TRANSPORTATION COMPANY, a 16 publicly traded Delaware corporation; SWIFT TRANSPORTATION SERVICES, LLC, a 17 Delaware Limited Company; SWIFT TRANSPORTATION CO. OF ARIZONA, 18 LLC, a Delaware Limited Liability Company; INTERSTATE EQUIPMENT LEASING, 19 LLC, a Delaware Limited Liability Company; EDWARD GREER, JR., an individual; 20 SWIFT LEASING CO., LLC (DOE No. 1); FIERRO TRUCKING II, LLC (DOE No. 2); 21 JOSE ANGEL MARTINEZ (DOE No. 3) and DOES 4 through 50, inclusive, 22 Defendants. 23 24 25 WHEREAS on March 20, 2014, the Court entered a preliminary pretrial conference order 26 setting the following deadlines for Federal Rule of Civil Procedure 26(a)(2)(B) and (C) disclosures 27 as well as Rule 26 (a)(2)(D)(ii) disclosures as follows: 28 Case No. 2:13-CV-01786-GEB-DAD 1 STIPULATION AND ORDER RESETTING RULE 26(a)(2)(B) AND (C) DISCLOSURE DATES 1 1. Initial expert witness disclosure pursuant to Federal Rule of Civil Procedure 2 26(a)(2)(B) and (C) on or before November 17, 2014; and 3 2. Contradictory and/or Rebuttal expert disclosures pursuant to Federal Rule of Civil 4 Procedure 26 (a)(2)(D)(ii) on or before December 18, 2014. 5 6 WHEREAS the parties have agreed to mediate the instant case on December 6, 2014, and 7 have mutually agreed to have the case mediated before Charles Hawkins and have reserved 8 December 6, 2014, for this purpose; 9 10 WHEREAS the parties hereby stipulate and agree that the interests of judicial economy 11 would be best served by a continuance of the current expert disclosure dates until after the Parties 12 have had a chance to mediate the case; 13 14 The parties hereby stipulate and agree to continue the current expert disclosure dates until 15 after the Parties have had a chance to mediate the case and propose a schedule as follows: 16 17 1. Initial expert witness disclosure pursuant to Federal Rule of Civil Procedure 18 26(a)(2)(B) and (C) on or before January 30, 2015 19 2. Contradictory and/or Rebuttal expert disclosures pursuant to Federal Rule of Civil 20 Procedure 26 (a)(2)(D)(ii) on or before February 27, 2015. 21 Dated: November 5, 2014 22 23 24 25 26 27 28 Case No. 2:13-CV-01786-GEB-DAD 2 STIPULATION AND ORDER RESETTING RULE 26(a)(2)(B) AND (C) DISCLOSURE DATES 1 DATED: November__, 2014 PANISH SHEA & BOYLE LLP 2 3 Brian J. Panish State Bar No. 116060 Adam K. Shea State Bar No. 166800 Ryan A. Casey State Bar No. 271865 Attorneys for Plaintiff 11111 Santa Monica Boulevard, Suite 700 Los Angeles, California 90025 Email: panish@psblaw.com shea@psblaw.com casey@psblaw.com 4 5 6 7 8 9 10 11 DATED: November __, 2014 THE SEEGMILLER LAW FIRM 12 13 By: 14 15 16 17 /s/ West Seegmiller (SBN 98740) Attorney for Plaintiff 4695 McArthur Court, Ste. 200 Newport Beach, CA 92660 Phone 949-225-3939 Fax 866-542-9221 email: wseegmiller@theseegmillerlawfirm.com 18 19 DATED: November __, 2014 BURNHAM BROWN, A Professional Law Corporation 20 21 22 23 24 25 26 By: Raymond A. Greene, III (SBN 131510) Attorney for Swift Defendants P.O. Box 119 Oakland, CA 94604 1901 Harrison Street, 14th Floor Oakland, CA 94612 Phone 510-444-6800 Fax 510-835-6666 Email: rgreene@BurnhamBrown.com 27 28 Case No. 2:13-CV-01786-GEB-DAD 3 STIPULATION AND ORDER RESETTING RULE 26(a)(2)(B) AND (C) DISCLOSURE DATES

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