Fagan v. County of Sacramento

Filing 49

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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1 RIVERA & ASSOCIATES 2 1425 River Park Drive, Suite 250 Sacramento, California 95815 3 Tel: 916-922-1200 Fax: 916 922-1303 4 6 Jesse M. Rivera, SBN 84259 Shanan L. Hewitt, SBN 200168 Jonathan B. Paul, SBN 215884 Jill B. Nathan, SBN 186136 Jamil Ghannam, SBN 300730 7 Attorneys for Defendant Michael Matranga 8 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 5 9 10 11 12 13 Attorney for Plaintiff Jordan Fagan 14 IN THE UNITED STATES DISTRICT COURT 15 IN AND FOR THE EASTERN DISTRICT OF CALIFORNIA 16 17 JORDAN FAGAN, Plaintiff, 18 19 vs. 20 COUNTY OF SACRAMENTO, AIMEE EAGLETON, MICHAEL MATRANGA, et al., Defendants. 21 22 23 ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No.: 2:15-cv-01755-JAM-KJN STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES 24 25 TO THE COURT, TO ALL PARTIES AND THEIR COUNSEL OF RECORD: 26 Plaintiff Jordan Fagan (“Plaintiff”) and Defendant Michael Matranga by and through their 27 undersigned counsel, hereby stipulate as follows: 28 That good cause exists to extend the expert witness disclosure deadlines by 30 days. STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES Page 1 1 Specifically, the parties stipulate that good cause exists to extend the expert witness 2 disclosure deadlines from the current expert witness disclosure deadline of June 9, 2017 and 3 supplemental/rebuttal expert disclosure deadline of June 23, 2017, as set forth in the September 4 1, 2016, Status (Pre-trial Scheduling) Order (Doc 35) as the parties intend to mediate this matter 5 prior to engaging in costly expert witness discovery. The parties do not believe that any other 6 dates or deadlines within the Pre-trial Scheduling Order require resetting under this stipulation. 7 Hence, the parties stipulate and respectfully request that the expert witness disclosure deadlines 8 be continued by 30 days to July 10, 2017 for expert witness disclosures and July 24, 2017 for 9 supplemental/rebuttal expert witness disclosures. IT IS SO STIPULATED. 10 11 12 Dated: May 22, 2017 RIVERA & ASSOCIATES 13 14 /s/ Jonathan B. Paul JONATHAN B. PAUL Attorney for Defendant Michael Matranga 15 16 17 18 Dated: May 22, 2017 SIGNATURE LAW GROUP 19 20 /s/ Gregory M. Finch Gregory M. Finch Attorney for Plaintiff Jordan Fagan 21 22 23 24 25 /// 26 /// 27 /// 28 /// STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES Page 2 1 ORDER 2 Having reviewed the above Stipulation, and good cause appearing, IT IS HEREBY 3 ORDERED that the expert witness disclosure deadline is continued from June 9, 2017 to July 10, 4 2017 and the supplemental expert witness disclosure deadline continued from June 23, 2017 to 5 July 24, 2017. 6 IT IS SO ORDERED. 7 8 9 Date: 5/22/2017 /s/ John A. Mendez_______________________ HON. JOHN A. MENDEZ UNITED STATES DISTRICT COURT JUDGE 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER EXTENDING THE EXPERT WITNESS DISCLOSURE DEADLINES Page 3

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