Martin v. Liberty Life Assurance Company of Boston
Filing
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STIPULATION and ORDER signed by Judge John A. Mendez on 3/24/15 re: 10 ORDERING expert disclosures continued to 5/8/15 and rebuttal/supplemental expert disclosures continued to 5/22/15. (Meuleman, A)
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A Professional Corporation
Redwood City
Ropers Majeski Kohn & Bentley
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DAVID ALLEN, ESQ. [SBN 87193]
DAVID ALLEN & ASSOCIATES
5230 Folsom Boulevard
Sacramento, California 95819
Telephone: (916) 455-4800
Facsimile: (916) 451-5687
Attorneys for Plaintiff,
DEBORAH MARTIN
ROPERS, MAJESKI, KOHN & BENTLEY
PAMELA E. COGAN (SBN 105089)
NORMAN LAU (SBN 253690)
1001 Marshall Street, Suite 500
Redwood City, CA 94063-2052
Telephone:
(650) 364-8200
Facsimile:
(650) 780-1701
Email:
pamela.cogan@rmkb.com
norman.lau@rmkb.com
Attorneys for Defendant
LIBERTY LIFE ASSURANCE COMPANY OF
BOSTON
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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DEBORAH MARTIN,
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CASE NO. 2:14 CV 00786 JAM
Plaintiff,
STIPULATION AND ORDER
REGARDING EXPERT DISCLOSURES
v.
LIBERTY LIFE ASSURANCE
COMPANY OF BOSTON,
Defendant.
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IT IS HEREBY STIPULATED AND AGREED by and between counsel for plaintiff
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Deborah Martin and defendant Liberty Life Assurance Company of Boston that the dates
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previously set in the Court’s Status (Pre-trial Scheduling) Order of August 15, 2014, be amended
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as follows:
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Whereas the Status (Pre-trial Scheduling) Order of August 15, 2014 set forth the deadlines
4810-7228-9826.1
CASE NO. 2:145CV00786JAM
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for expert discovery in this case.
Whereas the parties have engaged in settlement discussions and have scheduled private
mediation on April 13, 2015.
Whereas the parties would like to explore the possibility of settlement while conserving
the parties resources.
Whereas the current deadline to for the parties to make expert disclosures is April 10,
A Professional Corporation
Redwood City
Ropers Majeski Kohn & Bentley
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2015 and the deadline to make supplemental and rebuttal expert disclosures is May 1, 2015.
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Whereas the parties are not aware of any other date fixed by Court order that will be
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altered by the instant stipulation, other than those set forth above.
NOW THEREFORE, THE PARTIES HEREBY STIPULATE AND AGREE as
follows:
The parties agree that the dates for Expert Disclosures, Supplemental/Rebuttal Expert
Disclosures and Expert Discovery should be continued to the following dates:
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Expert Disclosures: May 8, 2015
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Rebuttal/Supplemental Expert Disclosures: May 22, 2015
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IT IS SO STIPULATED.
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Dated: March , 2015
DAVID ALLEN & ASSOCIATES
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By: /s/
DAVID ALLEN
Attorneys for Plaintiff
DEBORAH MARTIN
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Dated: March , 2015
ROPERS, MAJESKI, KOHN & BENTLEY
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By: /s/
PAMELA E. COGAN
NORMAN LAU
Attorneys for Defendant
LIBERTY LIFE ASSURANCE
COMPANY OF BOSTON
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4810-7228-9826.1
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ORDER
PURSUANT TO STIPULATION, IT IS SO ORDERED.
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DATED: 3/24/2015
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/s/ John A. Mendez_______________________
HONORABLE JOHN A. MENDEZ
UNITED STATES DISTRICT COURT JUDGE
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A Professional Corporation
Redwood City
Ropers Majeski Kohn & Bentley
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4810-7228-9826.1
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