Evans v. California Commission on Peace Officers Standards and Training et al

Filing 44

STIPULATION and ORDER signed by District Judge Morrison C. England, Jr on 3/31/17: Discovery due by 6/20/2017. Designation of Expert Witnesses due by 8/22/2017. (Kaminski, H)

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1 2 3 4 5 6 7 8 9 10 11 12 BROWN | POORE LLP Scott A. Brown (SBN 177099) David M. Poore (SBN 192541) 1350 Treat Boulevard, Suite 420 Walnut Creek, California 94597 (925) 943-1166 sbrown@bplegalgroup.com Attorneys for Plaintiff Tamara Evans KATHLEEN A. KENEALY (SBN 212289) Acting Attorney General of California CHRISTINE MERSTEN (SBN 149752) Supervising Deputy Attorney General CONNIE A. BROUSSARD (SBN 228237) Deputy Attorney General 600 West Broadway, Suite 1800 San Diego, CA 92101 (619) 738-9515 Connie.Broussard@doj.ca.gav Attorneys for Defendants California Commission of Peace Officer Standards & Training, Edmund Pecinovsky, Anne Brewer 13 IN THE UNITED STATES DISTRICT COURT 14 FOR THE EASTERN DISTRICT OF CALIFORNIA 15 16 17 18 19 20 21 22 23 24 25 26 27 28 TAMARA EVANS, 2:15-CV-01951-MCE-DB Plaintiff, v. CALIFORNIA COMMISSION ON PEACE OFFICERS STANDARDS AND TRAINING; EDMUND PECINOVSKY; ANNE BREWER and DOES 1-25, Defendants. STIPULATION AND ORDER TO EXTEND DISCOVERY DATES 1 Pursuant to Local Rules 143 and 144, Plaintiff Tamara Evans and Defendants California 2 Commission on Peace Officers Standards and Training, Anne Brewer, and Edmund Pecinovsky 3 hereby stipulate to extend the discovery cutoff dates. 4 There exists good cause to extend the discovery deadlines and modify the pre-trial order 5 in accordance with FRCP 16. All parties agree that the current discovery schedule does not 6 provide sufficient time. The parties agree to a 60 day extension of currently scheduled deadlines 7 as set forth below. No trial date has been assigned in this case which has been reassigned twice. 8 The parties believe that each will benefit from the extension and there will be no undue prejudice. 9 Although this case was originally filed on June 4, 2014, there was a dormant period where 10 11 Plaintiff substituted counsel. A First Amended Complaint was filed on August 10, 2015. Written discovery has been propounded. Several long standing disputes exist regarding 12 (a) the lack of labelling of documents produced by Defendants; (b) the production of various 13 documents; and (c) production of the contents from Plaintiff’s laptop used during her 14 employment. 15 The parties have commenced the depositions of Plaintiff Tamara Evans and Defendant 16 Edmund Pecinovsky and are close to completing them. The Parties have further met and 17 conferred regarding the production of the following witnesses identified in Defendants’ Initial 18 Disclosures: Anne Brewer, Darla Engler, Stephanie Scofield, Teresa Keller, Robert Stresak, 19 Richard Reed, Alan Deal, Donna Wooten, and Frank Decker. Dates certain have been assigned 20 for the completion of Ms. Evans’ deposition, as well as the depositions of Ms. Brewer, Mr. Reed, 21 and Ms. Scofield. Defense counsel is attempting to obtain dates for the remaining witnesses. 22 The Parties agree that under the current discovery deadlines, it will be extremely difficult 23 and burdensome on counsel and witnesses to complete necessary discovery. Previous requests to 24 continue discovery deadlines have been made. 25 WHEREAS the court previously set April 18, 2017 as the deadline for fact discovery; 26 WHEREAS the court previously set June 19, 2017 as the deadline for expert discovery. 27 28 2 Stipulation and Order No. 2:15-CV-01951-MCE-DB 1 The parties do therefore Stipulate and agree as follows: 2 1. To extend Fact discovery cutoff until June 20, 2017; 3 2. To extend Designation of Experts deadline until August 22, 2017; 4 3. That a Status and Setting Conference be set for a date convenient to the court 5 to address the remaining case calendar, including assignment of trial. 6 7 8 Dated: March 24, 2017 BROWN POORE LLP 9 10 /s/ Scott A. Brown 11 SCOTT A. BROWN Attorneys for Plaintiff Tamara Evans 12 13 14 Dated: March 24, 2017 California Deputy Attorney General 15 16 /s/ Connie A. Broussard 17 CONNIE A. BROUSSARD Attorneys for Defendants 18 19 20 21 22 23 24 25 26 27 28 3 Stipulation and Order No. 2:15-CV-01951-MCE-DB 1 2 3 I hereby attest that concurrence in the filing of the document has been obtained by all of the signatories. Dated: March 24, 2017 BROWN POORE LLP 4 5 /s/ Scott A. Brown 6 SCOTT A. BROWN Attorneys for Plaintiff Tamara Evans 7 8 9 10 ORDER PURSUANT TO STIPULATION, IT IS SO ORDERED. 11 12 Dated: March 31, 2017 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 4 Stipulation and Order No. 2:15-CV-01951-MCE-DB

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