Sears v. County of Butte, et al.,
Filing
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STIPULATION and ORDER signed by District Judge Morrison C. England, Jr on 2/2/2017 ORDERING discovery deadline is CONTINUED from 2/13/2017 to 3/5/2017 for the limited purpose of taking Deputy Dan Angels deposition. (Washington, S)
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A PROFESSIONAL CORPORATION
Stephen E. Horan, SBN 125241
William E. Camy, SBN 291397
350 University Avenue, Suite 200
Sacramento, California 95825
TEL: 916.929.1481 • FAX: 916.927.3706
Bruce S. Alpert, SBN 75684
OFFICE OF THE COUNTY COUNSEL
COUNTY OF BUTTE
25 County Center Drive, Suite 201
Oroville, CA 95965
TEL: 530.538.7621 • FAX: 530.538.6891
Attorneys for Defendants, COUNTY OF BUTTE, BUTTE COUNTY SHERIFF’S OFFICE,
ANDY DUCH and JOHN KUHN
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UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA
PORTER | SCOTT
350 University Ave., Suite 200
Sacramento, CA 95825
TEL: 916.929.1481
FAX: 916.927.3706
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MICHAEL SEARS,
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Plaintiff,
CASE NO.: 2:15-CV-00589-MCE-CMK
STIPULATION TO EXTEND
DISCOVERY DEADLINE AND ORDER
v.
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COUNTY OF BUTTE, BUTTE COUNTY
SHERIFF’S OFFICE; ANDY DUCH; JOHN
KUHN; and DOES 1 through 100, inclusive,
Complaint Filed: 3/16/15
Defendants.
___________________________________/
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This Stipulation is entered into by and between Plaintiff MICHAEL SEARS (“Plaintiff”)
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and Defendants COUNTY OF BUTTE, BUTTE COUNTY SHERIFF’S OFFICE, ANDY DUCH,
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and JOHN KUHN (“Defendants”) through counsel of record. The Parties have conferred and agree
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to continue the discovery deadline date for 20 days, from February 13, 2017, to March 5, 2017, for
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the limited purpose of completing the deposition of Deputy Dan Angel. The parties have good
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cause to request an extension for this limited purpose. Defendants desire to preserve Deputy
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Angel’s testimony in the event the Court does not grant Defendants’ Motion for Summary
{01642624.DOCX}
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STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER
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Judgment in its entirety. Defendants attempted to take Deputy Angel’s deposition prior to the
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current discovery deadline, February 13, 2017, but Deputy Angel and/or his counsel were not
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available. Through his counsel, Deputy Angel has requested that Defendants take his deposition in
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late February or early March, 2017, because he is currently dealing with some personal issues.
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Defendants have agreed to accommodate the request if the Court is willing to extend the discovery
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deadline.
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IT IS SO STIPULATED.
Dated: February 2, 2017
A PROFESSIONAL CORPORATION
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By ____/s/ Stephen E. Horan_________
Stephen E. Horan
William E. Camy
Attorney for Defendants COUNTY
OF BUTTE, BUTTE COUNTY
SHERIFF’S OFFICE, ANDY DUCH
and JOHN KUHN
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PORTER | SCOTT
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350 University Ave., Suite 200
Sacramento, CA 95825
TEL: 916.929.1481
FAX: 916.927.3706
PORTER SCOTT
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MASTAGNI HOLSTEDT
A PROFESSIONAL CORPORATION
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By ____/s/ Grant A. Winter__________
Grant A. Winter
Attorney for Plaintiff
MICHAEL SEARS
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ORDER
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Based upon the Stipulation of the parties:
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The discovery deadline is continued from February 13, 2017, to March 5, 2017, for
the limited purpose of taking Deputy Dan Angel’s deposition.
IT IS SO ORDERED.
Dated: February 2, 2017
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{01642624.DOCX}
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STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER
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