Wake Forest Acquisitions, L.P., et al., v. Vanderbilt Commercial Lending, Inc. et al

Filing 45

STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 5/17/2017 ORDERING that the deadline for expert witness disclosures is EXTENDED through and including 7/1/2017, and the expert discovery cutoff date is EXTENDED through and including 8/31/2017. (Zignago, K.)

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1 2 3 4 5 6 7 8 9 10 11 12 Maria S. Bellafronto (State Bar No. 161994) mbellafronto@hopkinscarley.com Monique D. Jewett-Brewster (State Bar No. 217792) mjb@hopkinscarley.com HOPKINS & CARLEY A Law Corporation The Letitia Building 70 S First Street San Jose, CA 95113-2406 mailing address: P.O. Box 1469 San Jose, CA 95109-1469 Telephone: (408) 286-9800 Facsimile: (408) 998-4790 Attorneys for Plaintiffs and Counter-Defendant WAKE FOREST ACQUISITIONS, L.P. c/o Corporation Service Company; SHAFFER ASSET MANAGEMENT CORPORATION c/o Corporation Service Company; ROBERT P. SHAFFER, individually and as Co-Trustee of the Robert P. Shaffer Revocable Trust; and MARY SHAFFER, as Co-Trustee of the Robert P. Shaffer Revocable Trust 13 UNITED STATES DISTRICT COURT 14 EASTERN DISTRICT OF CALIFORNIA 15 SACRAMENTO DIVISION 16 17 18 19 WAKE FOREST ACQUISITIONS, L.P.; SHAFFER ASSET MANAGEMENT CORPORATION; ROBERT P. SHAFFER, individually and as Co-Trustee of the Robert P. Shaffer Revocable Trust; and MARY SHAFFER, as Co-Trustee of the Robert P. Shaffer Revocable Trust, 22 23 v. VANDERBILT COMMERCIAL LENDING, INC.; and GREGORY COOK, Defendants. VANDERBILT COMMERCIAL LENDING, INC. 26 27 Hon. Kimberly J. Mueller Plaintiffs, 24 25 STIPULATION AND ORDER TO EXTEND DEADLINE FOR EXPERT WITNESS DISCLOSURES AND EXPERT DISCOVERY CUTOFF DATE Judge: 20 21 CASE NO. 2:15-CV-02167-KJM-AC Counterclaim-Plaintiff, v. 28 H OPKINS & C ARLEY ATTORNEYS AT LAW SAN JOSE PALO ALTO 853\2611802.2 STIPULATION AND ORDER TO EXTEND DEADLINE FOR EXPERT WITNESS DISCLOSURES AND EXPERT DISCOVERY CUTOFF DATE 2:15-CV-02167-KJM-AC 1 WAKE FOREST ACQUISITIONS, L.P., 2 Counterclaim-Defendant. 3 4 5 WHEREAS, on June 21, 2016, the Status (Pretrial Scheduling) Order (“Scheduling Order”) was entered on the Docket (Dkt. No. 30); 6 7 WHEREAS, pursuant to the Court’s Scheduling Order, all fact discovery shall be completed in this case by March 10, 2017; 8 9 WHEREAS, pursuant to the Court’s Scheduling Order, all expert discovery shall be completed in this case by June 9, 2017; 10 WHEREAS, on February 27, 2017, the parties stipulated, subject to the Court’s approval, 11 to extend the fact discovery cutoff date through and including June 29, 2017, as Defendant 12 Gregory Cook’s health problems have affected the parties’ ability to schedule depositions prior to 13 the current discovery cutoff date (Dkt. No. 36); 14 15 WHEREAS, the parties need to conclude fact discovery before experts can complete their opinion reports; 16 17 WHEREAS, the parties now wish to continue the expert discovery cutoff date without impacting the dates currently set for the Final Pretrial Conference and Trial in this case; 18 THEREFORE, since the parties have not been able to complete their fact discovery by the 19 date of this stipulation, and to allow the parties to complete their expert discovery in this case, the 20 parties hereby agree and stipulate that, subject to the Court’s approval, (i) the deadline for expert 21 witness disclosures shall be extended through and including July 1, 2017, and (ii) the expert 22 discovery cutoff date shall be extended through and including August 31, 2017. 23 /// 24 /// 25 26 27 28 H OPKINS & C ARLEY ATTORNEYS AT LAW SAN JOSE PALO ALTO -2853\2611802.2 STIPULATION AND ORDER TO EXTEND DEADLINE FOR EXPERT WITNESS DISCLOSURES AND EXPERT DISCOVERY CUTOFF DATE 2:15-CV-02167-KJM-AC 1 Dated: May 9, 2017 HOPKINS & CARLEY A Law Corporation 2 3 By: /s/ Maria S. Bellafronto Maria S. Bellafronto Monique D. Jewett-Brewster Attorneys for Plaintiffs and CounterDefendant 4 5 6 7 8 Dated: May 9, 2017 BOUTIN JONES INC. 9 10 By: /s/ Eric Miller Robert D. Swanson, Esq. Kelley M. Lincoln, Esq. Eric Miller, Esq. Attorneys for Defendant Gregory Cook and Defendant and Counterclaim-Plaintiff VANDERBILT COMMERCIAL LENDING, INC. 11 12 13 14 15 16 17 18 PURSUANT TO STIPULATION, IT IS SO ORDERED. Dated: May 17, 2017 19 20 UNITED STATES DISTRICT JUDGE 21 22 23 24 25 26 27 28 H OPKINS & C ARLEY ATTORNEYS AT LAW SAN JOSE PALO ALTO -3853\2611802.2 STIPULATION AND ORDER TO EXTEND DEADLINE FOR EXPERT WITNESS DISCLOSURES AND EXPERT DISCOVERY CUTOFF DATE 2:15-CV-02167-KJM-AC

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