Yoakum et al v. Perysian et al
Filing
14
STIPULATION and ORDER TO CONTINUE EXPERT DISCLOSURES signed by District Judge Morrison C. England, Jr on 12/7/16 ORDERING that the disclosure of Expert Witnesses currently scheduled for 12/16/16 is CONTINUED and RESCHEDULED to 2/1/2017. (Mena-Sanchez, L)
JOHN T. STRALEN (SBN 171227)
1 CLAYEO C. ARNOLD
A Professional Corporation
2 865 Howe Avenue
Sacramento, CA 95825
3 Telephone: (916) 924-3100
Facsimile: (916) 924-1829
4 E-Mail: carnold@justice4you.com
5 Attorney for Plaintiffs
6 Gordon W. Bowley (SBN 187624)
POWERS MILLER
7 A Professional Corporation
2180 Harvard Street, Suite 200
8 Sacramento, California 95815
Telephone No. (916) 924-7900
9 Facsimile No. (916) 924-7980
10
E-Mail: gwb@powersmiller.com
Attorney for LAWRENCE S. YOAKUM
11 On the Counter-Claim
12
JOHN P. COLEMAN, SBN 60844
13 BOLLING & GAWTHROP
A Professional Corporation
14 8880 Cal Center Drive, Suite 190
Sacramento, California 95826
15 Telephone: (916) 369-0777
Facsimile: (916) 369-2698
16 E-Mail: jpc@bwg-inc.com
17
Attorneys for Michelle A. Perysian and
18 Van Eerden Trucking Company, Inc
19
UNITED STATES DISTRICT COURT
20
EASTERN DISTRICT OF CALIFORNIA
21
22
LAWRENCE S. YOAKUM, DANIELLE
23 YOAKUM, SHELBY A. YOAKUM,
24
CASE NO.: 2:15-cv-02508-MCE-AC
Plaintiffs,
25 v.
26 MICHELLE A. PERYSIAN, VAN
JOINT STIPULATION AND PROPOSED
ORDER TO CONTINUE EXPERT
DISCLOSURES
EERDEN TRUCKING COMPANY, INC.
27 and DOES 1 through 25, inclusive,
28
Clayeo C. Arnold
A Professional
Corporation
Defendants
1
JOINT STIPULATION TO CONTINUE SETTLEMENT CONFERENCE; ORDER THEREON
VAN EERDEN TRUCKING COMPANY,
1 INC.,
2
Counter-Claimant,
3 v.
4 LAWRENCE S. YOAKUM,
5
Plaintiff.
6
7
ALL PARTIES, THROUGH THEIR RESPECTIVE COUNSEL OF RECORD, HEREBY
8 STIPULATE AND REQUEST THIS COURT TO ORDER, THAT the disclosure of expert
9 witnesses currently scheduled for December 16, 2016 be continued and rescheduled to February 1,
10 2017.
11
Good cause exists for this continuance: The parties are have agreed to participate in a
12 private mediation and wish to have the mediation before expert disclosures are due to reduce the
13 parties’ costs at the time of the mediation.
14
SO STIPULATED.
15 DATED: November 29, 2016
BOLLING & GAWTHROP
16
17
By: ______/S/_________________________
18
John P. Coleman
19
SBN 60844
20
21
22
DATED: November 29, 2016
CLAYEO C. ARNOLD
23
24
25
By: _____/S/__________________________
26
John T. Stralen
27
SBN 171227
28
Clayeo C. Arnold
A Professional
Corporation
2
JOINT STIPULATION TO CONTINUE SETTLEMENT CONFERENCE; ORDER THEREON
1
DATED: November 29, 2016
POWERS & MILLER
2
3
By: ______/S/_________________________
4
5
Gordon W. Bowley
6
SBN 187624
7
ORDER
8
9
In accordance with the foregoing stipulation, and good cause appearing, the disclosure of
10 expert witnesses currently scheduled for December 16, 2016 is continued and rescheduled to
11 February 1, 2017.
12
IT IS SO ORDERED.
13
14 Dated: December 7, 2016
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Clayeo C. Arnold
A Professional
Corporation
3
JOINT STIPULATION TO CONTINUE SETTLEMENT CONFERENCE; ORDER THEREON
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