E.R. v. Sutter Davis Hospital et al
Filing
30
ORDER signed by Magistrate Judge Carolyn K. Delaney on 12/1/15 ORDERING that the initial expert disclosures shall be continued from 1/15/16, to 3/15/16, and the rebuttal expert disclosure date shall be continued from 3/18/16, to 5/17/16. No other dates need be altered because the discovery cut-off in this case runs through August, 2016. (Becknal, R) Modified on 12/1/2015 (Becknal, R).
1 LOUIS H. DE HAAS, SBN 39579
LA FOLLETTE, JOHNSON,
2 DE HAAS, FESLER & AMES
865 South Figueroa Street, Suite 3200
3 Los Angeles, California 90017-5431
Phone:
(213) 426-3600
4 Facsimile: (213) 426-3650
5 BARRY VOGEL, STATE BAR NO. 108640
LARRY THORNTON, STATE BAR NO. 232265
6 LA FOLLETTE, JOHNSON,
DE HAAS, FESLER & AMES
7 655 University Avenue, Suite 119
Sacramento, California 95825
8 Phone:
(916) 563-3100
Facsimile: (916) 565-3704
9
Attorneys for Defendant/Cross-Complainant
10 Sutter Davis Hospital
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THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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E.R., a minor, by and through his Guardian ad Case No.: 2:14-CV-02053-WBS-CKD
14 Litem, CAROLYN YOUNG,
15
STIPULATION AND ORDER FOR
EXTENSION OF EXPERT
DISCLOSURE DATES
Plaintiff,
16 v.
17 SUTTER DAVIS HOSPITAL, SUTTER
WEST WOMEN'S HEALTH, SUSAN
18 MAAYAH, M.D., and DOES 1 to 100,
inclusive,
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Defendants.
20
SUTTER DAVIS HOSPITAL,
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Cross-Complainant,
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v.
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UNITED STATES OF AMERICA,
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Cross-Defendant.
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STIP AND ORDER RE CONTINUE EXPERT DATES
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THE PARTIES, THROUGH THEIR RESPECTIVE COUNSEL OF RECORD,
2 STIPULATE AS FOLLOWS:
3
Pursuant to Federal Rule of Civil Procedure 16 and this Court’s Status (Pretrial
4 Scheduling) Order (ECF 24), the parties hereby stipulate and propose to continue the current
5 dates for expert disclosures by approximately sixty (60) days, such that the initial expert
6 disclosures shall be continued from January 15, 2016, to March 15, 2016, and the rebuttal
7 expert disclosure date shall be continued from March 18, 2016, to May 17, 2016. The
8 parties seek this continuation so that fact discovery can progress further before expert
9 reports are due, and the holiday season is making the scheduling of depositions unusually
10 difficult. No other dates need be altered because the discovery cut-off in this case runs
11 through August, 2016. Because this stipulation does not seek to alter the trial date, it “may
12 be heard and decided by the assigned Magistrate Judge.” (ECF 24 at 5:9).
13
Respectfully submitted,
14 Dated: November 25, 2015
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LA FOLLETTE, JOHNSON,
DE HAAS, FESLER & AMES
Attorneys for Defendant and Cross-Complainant
SUTTER DAVIS HOSPTIAL
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By:
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/s/
LARRY THORNTON
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20 Dated: November 25, 2015
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RICE & BLOOMFIELD, LLP
Attorneys for Plaintiff
ELICEO REHG,
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By:
/s/
LINDA FERMOYLE RICE
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25
26 Dated: November 24, 2015
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BENJAMIN B. WAGNER
United States Attorney
By: /s/
GREGORY T. BRODERICK
Assistant United States Attorney
2
STIP AND ORDER RE CONTINUE EXPERT DATES
1
2
Dated: November 24, 2015
3
SCHUERING ZIMMERMAN & DOYLE
Attorneys for Defendants
SUTTER WEST WOMEN’S HEALTH;
SUSAN K. MAAYAH, M.D.
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5
By:
/s/
KAT TODD
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7
8 IT IS SO ORDERED.
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10 Dated: December 1, 2015
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_____________________________________
CAROLYN K. DELANEY
UNITED STATES MAGISTRATE JUDGE
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STIP AND ORDER RE CONTINUE EXPERT DATES
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