Fagan v. County of Sacramento
Filing
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STIPULATION and ORDER signed by District Judge John A. Mendez on 5/22/2017 ORDERING that the expert witness disclosure deadline is CONTINUED from 6/9/2017 to 7/10/2017 and the supplemental expert witness disclosure deadline CONTINUED from 6/23/2017 to 7/24/2017. (Zignago, K.)
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RIVERA & ASSOCIATES
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1425 River Park Drive, Suite 250
Sacramento, California 95815
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Tel: 916-922-1200 Fax: 916 922-1303
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Jesse M. Rivera, SBN 84259
Shanan L. Hewitt, SBN 200168
Jonathan B. Paul, SBN 215884
Jill B. Nathan, SBN 186136
Jamil Ghannam, SBN 300730
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Attorneys for Defendant Michael Matranga
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Gregory M. Finch, SBN 091237
SIGNATURE LAW GROUP
3400 Bradshaw Road, Suite A-4A
Sacramento, CA 95827
Telephone: 916-856-5800
Facsimile: 916-880-5255
gfinch@signaturelawgroup.com
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Attorney for Plaintiff Jordan Fagan
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IN THE UNITED STATES DISTRICT COURT
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IN AND FOR THE EASTERN DISTRICT OF CALIFORNIA
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JORDAN FAGAN,
Plaintiff,
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vs.
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COUNTY OF SACRAMENTO, AIMEE
EAGLETON, MICHAEL MATRANGA, et
al.,
Defendants.
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Case No.: 2:15-cv-01755-JAM-KJN
STIPULATION AND ORDER EXTENDING
THE EXPERT WITNESS DISCLOSURE
DEADLINES
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TO THE COURT, TO ALL PARTIES AND THEIR COUNSEL OF RECORD:
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Plaintiff Jordan Fagan (“Plaintiff”) and Defendant Michael Matranga by and through their
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undersigned counsel, hereby stipulate as follows:
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That good cause exists to extend the expert witness disclosure deadlines by 30 days.
STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES
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Specifically, the parties stipulate that good cause exists to extend the expert witness
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disclosure deadlines from the current expert witness disclosure deadline of June 9, 2017 and
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supplemental/rebuttal expert disclosure deadline of June 23, 2017, as set forth in the September
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1, 2016, Status (Pre-trial Scheduling) Order (Doc 35) as the parties intend to mediate this matter
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prior to engaging in costly expert witness discovery. The parties do not believe that any other
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dates or deadlines within the Pre-trial Scheduling Order require resetting under this stipulation.
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Hence, the parties stipulate and respectfully request that the expert witness disclosure deadlines
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be continued by 30 days to July 10, 2017 for expert witness disclosures and July 24, 2017 for
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supplemental/rebuttal expert witness disclosures.
IT IS SO STIPULATED.
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Dated: May 22, 2017
RIVERA & ASSOCIATES
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/s/ Jonathan B. Paul
JONATHAN B. PAUL
Attorney for Defendant Michael Matranga
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Dated: May 22, 2017
SIGNATURE LAW GROUP
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/s/ Gregory M. Finch
Gregory M. Finch
Attorney for Plaintiff Jordan Fagan
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STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES
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ORDER
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Having reviewed the above Stipulation, and good cause appearing, IT IS HEREBY
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ORDERED that the expert witness disclosure deadline is continued from June 9, 2017 to July 10,
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2017 and the supplemental expert witness disclosure deadline continued from June 23, 2017 to
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July 24, 2017.
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IT IS SO ORDERED.
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Date: 5/22/2017
/s/ John A. Mendez_______________________
HON. JOHN A. MENDEZ
UNITED STATES DISTRICT COURT JUDGE
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STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES
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