Martin v. Butte

Filing 13

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 12/5/2016 ORDERING that the discovery deadline is CONTINUED to 1/27/2017 for the limited purpose of obtaining Plaintiff's mental health records. (Zignago, K.)

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1 2 3 4 5 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 8 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 9 Attorneys for Defendants, COUNTY OF BUTTE 6 7 10 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 11 PORTER | SCOTT 350 University Ave., Suite 200 Sacramento, CA 95825 TEL: 916.929.1481 FAX: 916.927.3706 12 13 KARA JOLIE MARTIN, CASE NO.: 2:15-CV-01409-TLN-CMK 14 Plaintiff, 15 16 17 18 19 STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER v. COUNTY OF BUTTE, and Does 1-15, Complaint Filed: 07/02/15 Defendants. ___________________________________/ 20 21 This Stipulation is entered into by and between Plaintiff KARA JOLIE MARTIN 22 (“Plaintiff”) and Defendant COUNTY OF BUTTE (“County”) through counsel of record. The 23 Parties have conferred and agree to continue the discovery deadline date for 60 days, from 24 November 29, 2016 to January 26, 2017, for the limited purpose of obtaining Plaintiff’s mental 25 health records. The parties have good cause to request and extension for the discovery deadline. At 26 Plaintiff’s deposition on September 7, 2016, Plaintiff identified numerous mental health providers 27 with discoverable information that she had not previously identified in her discovery responses. 28 After the deposition, the County repeatedly requested that Plaintiff sign an authorization for the { 1 STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER 1 County to obtain her relevant mental health records; however, Plaintiff’s counsel was ill for an 2 extended period of time and to date has not been able to provide the County with a signed 3 authorization. 4 IT IS SO STIPULATED. 5 6 Dated: November 30, 2016 LAW OFFICES OF MELO AND SARSFIELD LLP 7 By ___/s/ John Sarsfield___________ John Sarsfield Attorney for Plaintiff, KARA JOLIE MARTIN 8 9 10 11 PORTER | SCOTT 350 University Ave., Suite 200 Sacramento, CA 95825 TEL: 916.929.1481 FAX: 916.927.3706 12 13 Dated: November 30, 2016 PORTER SCOTT A PROFESSIONAL CORPORATION 14 15 By ____/s/ Stephen E. Horan_________ Stephen E. Horan William E. Camy Attorneys for Defendant, COUNTY OF BUTTE 16 17 18 19 20 21 ORDER Based upon the Stipulation of the parties: 22 23 1. The discovery deadline is continued from November 29, 2016 to January 27, 2017, for the limited purpose of obtaining Plaintiff’s mental health records. 24 25 IT IS SO ORDERED. 26 27 Dated: December 5, 2016 28 Troy L. Nunley United States District Judge { 2 STIPULATION TO EXTEND DISCOVERY DEADLINE AND ORDER

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