Stroman v. California Department of Corrections and Rehabilitation et al

Filing 46

ORDER 45 signed by Magistrate Judge Carolyn K. Delaney on 5/1/2015 extending deadline. Disclosure of Expert Witnesses service deadline is now set for 6/15/2015. (Marciel, M)

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1 R I V E R A & A S S O C I AT E S 2 2180 Harvard Street, Suite 310 Sacramento, California 95815 3 Tel: 916-922-1200 Fax: 916 922-1303 4 Jesse M. Rivera, SBN 84259 Jonathan B. Paul, SBN 215884 Shanan L. Hewitt, SBN 200168 Jill B. Nathan, SBN, 186136 5 6 Attorneys for Defendant, OFFICER D. BUNCH 7 8 9 IN THE UNITED STATES DISTRICT COURT 10 IN AND FOR THE EASTERN DISTRICT OF CALIFORNIA 11 BENJAMIN STROMAN 12 • Plaintiff, vs. 14 15 16 17 18 19 20 VALLEY STATE PRISON WARDEN RON DAVIS IN HIS PERSONAL/INDIVIDUAL CAPACITY, CDCR CORRECTIONS OFFICER S. CLEMENT IN HIS PERSONAL/INDIVIDUAL CAPACITY, CDCR CORRECTIONS OFFICER R. FLEMINGIN HIS PERSONAL/INDIVIDUAL CAPACITY, CDCR CORRECTIONS OFFICER D. BUNCH IN HIS PERSONAL/INDIVIDUAL CAPACITY, and DOES 1 - 100 21 Defendants. 22 ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) CASE NO. 2:14-cv-00524 WBS CKD STIPULATION and ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE SERVICE DEADLINE 23 TO THE COURT, TO ALL PARTIES AND THEIR COUNSEL OF RECORD: 24 Plaintiff Benjamin Stroman (“Plaintiff”) and Defendants Bunch, Clement, and Davis by 25 26 27 28 an through their undersigned counsel, hereby stipulate as follows: That good cause exists to extend the expert witness disclosure service deadline by 45 days to June 15, 2015. Specifically, the parties stipulate that good cause exists to extend the expert witness 1 disclosure service deadline from the current date of April 30, 2015 as set forth in the September 2 26, 2014, Status (Pretrial Scheduling) Order (Doc 29) as the parties have only recently had the 3 opportunity to take the deposition of Plaintiff Benjamin Stroman on April 28, 2015. The delay 4 in the setting and taking of Plaintiff’s deposition was the result of multiple factors including 5 delays in obtaining written responses to discovery from Plaintiff; a loss of contact between 6 Plaintiff and his counsel; and, the recent appearance in the matter of defendant Clement on 7 February 17, 2015. Hence, the parties stipulate that the expert witness disclosure deadline 8 should be continued to June 15, 2015. 9 IT IS SO STIPULATED. 10 11 Dated: April 29, 2015 RIVERA & ASSOCIATES 12 /s/ Jonathan B. Paul 13 JONATHAN B. PAUL Attorney for Defendant Bunch 14 15 Dated: April 29, 2015 LAW OFFICES OF BENJAMIN A. WILLIAMS 16 /s/ Benjamin A. Williams (As Authorized of Today) 17 Benjamin A. Williams, Esq. Attorney for Plaintiff 18 19 Dated: April 29, 2015 LAW OFFICES OF STEVEN A. GERINGER 20 /s/ Steven A. Geringer (As Authorized of Today) 21 Steven A. Geringer, Esq. Attorney for Defendant Clement 22 23 Dated: April 29, 2015 CALIFORNIA OFFICE OF ATTORNEY GENERAL 24 /s/Tiffany Hixson (As Authorized of Today) 25 26 Tiffany Hixson Attorney for Defendants R. Davis 27 28 Stipulation and [Proposed] Order Extending the Expert Witness Disclosure Service Deadline Page 2 1 [PROPOSED] ORDER 2 Having reviewed the above Stipulation, and good cause appearing, IT IS HEREBY 3 ORDERED that the expert witness disclosure service deadline is amended from April 30, 2015 4 to June 15, 2015. 5 IT IS SO ORDERED. 6 7 Dated: May 1, 2015 _____________________________________ CAROLYN K. DELANEY UNITED STATES MAGISTRATE JUDGE Stipulation and [Proposed] Order Page

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