Olvera Sr. v. City of Manteca et al

Filing 12

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 04/04/2016 ORDERING: Discovery Cut-Off RESET for 7/14/2016; Expert Disclosure RESET for 8/8/2016; Rebuttal Expert Disclosure due 8/22/16; and Expert Discovery due 9/23/16. (Jackson, T)

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1 2 3 4 5 JOHN L. BURRIS ESQ., SBN 69888 BEN NISENBAUM ESQ., SBN 222173 JAMES COOK ESQ., SBN 300212 THE LAW OFFICES OF JOHN L. BURRIS Airport Corporate Centre 7677 Oakport Street, Suite 1120 Oakland, California 94621 Telephone: (510) 839-5200 Facsimile: (510) 839-3882 6 7 8 9 10 11 12 Attorneys for Plaintiff DALE L. ALLEN JR., SBN 145279 Allen, Glaessner, Hazelwood and Werth 180 Montgomery Street, Suite1200 San Francisco, CA 94104 Phone: (415) 697-3456 Facsimile: 415-813-2045 Attorney for Defendant 13 14 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA 15 16 17 18 19 20 21 22 23 CASE NO.: 2:15-cv-00897-TLN-DAD ROBERT OLVERA SR., an individual, STIPULATION AND ORDER FOR LEAVE TO RESET THE DATES FOR DISCOVERY CUT-OFF AND EXPERT DISCLOSURE Plaintiff, vs. CITY OF MANTECA, a municipal corporation; BEN CROMWELL, individually and in his capacity as an officer for the MANTECA Police Department; and DOES 1-25, inclusive, individually, jointly and severally, Defendants. 24 25 Plaintiff, through attorneys of record, JAMES COOK and BEN NISENBAUM, Law Offices 26 of John Burris; and Defendants, CITY OF MANTECA, et al., by and through attorneys of record 27 DALE ALLEN and KEVIN ALLEN of Allen, Glaessner, Hazelwood & Werth, represent to the Court 28 as follows: 1 1 2 3 4 1. The parties respectfully request that the Court vacate the existing Discovery Cut-Off date of May 6, 2016 and reset the date for July 14, 2016. 2. The parties respectfully request that the Court vacate the existing Expert Disclosure Due date set for July 7, 2016 and reset the date for August 8, 2016. 5 3. The parties respectfully request that the Court set the deadline to complete Rebuttal 6 7 8 9 10 Expert Disclosure to August 22, 2016. 4. The parties respectfully request that the Court set the deadline to complete Expert Discovery to September 23, 2016. 5. The parties respectfully request the Court Order this Stipulation. 11 12 13 Dated: April 4, 2016 THE LAW OFFICES OF JOHN L. BURRIS 14 /s/James Cook James Cook Attorney for Plaintiff 15 16 17 18 Dated: April 4, 2016 ALLEN, GLAESSNER, HAZELWOOD & WERTH 19 /s/Dale Allen Jr. Dale Allen Jr. Attorney for Defendants 20 21 22 ORDER 23 24 Good cause appearing the Stipulation is SO ORDERED. 25 26 Dated: April 4, 2016 27 28 Troy L. Nunley United States District Judge 2

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