Sears v. County of Butte, et al.,

Filing 30

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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1 2 3 4 5 6 7 8 9 10 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 11 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 12 1 13 1 14 1 MICHAEL SEARS, 15 1 16 1 Plaintiff, CASE NO.: 2:15-CV-00589-MCE-CMK STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER v. 17 1 18 1 19 20 21 COUNTY OF BUTTE, BUTTE COUNTY SHERIFF’S OFFICE; ANDY DUCH; JOHN KUHN; and DOES 1 through 100, inclusive, Complaint Filed: 3/16/15 Defendants. ___________________________________/ 22 This Stipulation is entered into by and between Plaintiff MICHAEL SEARS (“Plaintiff”) 23 and Defendants COUNTY OF BUTTE, BUTTE COUNTY SHERIFF’S OFFICE, ANDY DUCH, 24 and JOHN KUHN (“Defendants”) through counsel of record. The Parties have conferred and agree 25 to continue the discovery deadline date for 20 days, from February 13, 2017, to March 5, 2017, for 26 the limited purpose of completing the deposition of Deputy Dan Angel. The parties have good 27 cause to request an extension for this limited purpose. Defendants desire to preserve Deputy 28 Angel’s testimony in the event the Court does not grant Defendants’ Motion for Summary {01642624.DOCX} 1 STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER 1 Judgment in its entirety. Defendants attempted to take Deputy Angel’s deposition prior to the 2 current discovery deadline, February 13, 2017, but Deputy Angel and/or his counsel were not 3 available. Through his counsel, Deputy Angel has requested that Defendants take his deposition in 4 late February or early March, 2017, because he is currently dealing with some personal issues. 5 Defendants have agreed to accommodate the request if the Court is willing to extend the discovery 6 deadline. 7 8 IT IS SO STIPULATED. Dated: February 2, 2017 A PROFESSIONAL CORPORATION 9 10 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 11 PORTER | SCOTT 12 1 350 University Ave., Suite 200 Sacramento, CA 95825 TEL: 916.929.1481 FAX: 916.927.3706 PORTER SCOTT 13 1 14 1 15 1 MASTAGNI HOLSTEDT A PROFESSIONAL CORPORATION 16 1 17 1 By ____/s/ Grant A. Winter__________ Grant A. Winter Attorney for Plaintiff MICHAEL SEARS 18 1 19 20 ORDER 21 22 23 24 25 Based upon the Stipulation of the parties: 1. 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 26 27 28 {01642624.DOCX} 2 STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER

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