Yoakum et al v. Perysian et al

Filing 16

STIPULATION AND ORDER signed by District Judge Morrison C. England, Jr. on 1/9/2017 ORDERING the parties to disclose expert witnesses by 3/1/2017; ORDERING that all other dates and deadlines set forth in the 6 Pretrial Scheduling Order and 13 Supplemental Pretrial Scheduling Order remain in full force and effect. (Michel, G.)

Download PDF
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: jstralen@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 AMENDED JOINT STIPULATION AND 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 AMENDED JOINT STIPULATION AND ORDER TO CONTINUE SETTLEMENT CONFERENCE 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 March 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: December 7, 2016 BOLLING & GAWTHROP 16 17 By: __/S/ 18 John P. Coleman__________ John P. Coleman 19 SBN 60844 20 21 22 DATED: December 7, 2016 CLAYEO C. ARNOLD 23 24 25 By: __/S/ John T. Stralen____________ 26 John T. Stralen 27 SBN 171227 28 Clayeo C. Arnold A Professional Corporation 2 AMENDED JOINT STIPULATION AND ORDER TO CONTINUE SETTLEMENT CONFERENCE 1 DATED: December 7, 2016 POWERS & MILLER 2 3 By: __/S/ 4 Gordon W. Bowley________ 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 March 1, 2017. All other dates and deadlines, as set forth in the Court’s Pretrial Scheduling Order 12 and Supplemental Pretrial Scheduling Order (ECF Nos. 6 and 13) remain in full force and effect. 13 IT IS SO ORDERED. 14 Dated: January 9, 2017 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Clayeo C. Arnold A Professional Corporation 3 AMENDED JOINT STIPULATION AND ORDER TO CONTINUE SETTLEMENT CONFERENCE

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?