Ainely, et al. v. City of South Lake Tahoe, et al.

Filing 43

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 6/25/2018 MODIFYING the due date for Rebuttal Expert Reports to 8/23/2018. (York, M)

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1 2 3 4 5 MICHAEL J. HADDAD (State Bar No. 189114) JULIA SHERWIN (State Bar No. 189268) MAYA SORENSEN (State Bar No. 250722) TERESA ALLEN (State Bar No. 264865) HADDAD & SHERWIN LLP 505 Seventeenth Street Oakland, California 94612 Telephone: (510) 452-5500 Facsimile: (510) 452-5510 6 Attorneys for Plaintiff Patrick Jackson 7 8 9 10 11 12 LAW OFFICES OF DALE K. GALIPO DALE K. GALIPO (State Bar No. 144074) TANYA SUKHIJA (State Bar No. 295589) 21800 Burbank Boulevard, Suite 310 Woodland Hills, California 91367 Telephone: (818) 347-3333 Facsimile: (818) 347-4118 Attorney for Plaintiff Angela Ainley 13 14 UNITED STATES DISTRICT COURT 15 EASTERN DISTRICT OF CALIFORNIA 16 17 18 19 20 21 22 23 24 25 ANGELA AINLEY, individually and as successor-in-interest for KRIS JACKSON , Deceased; PATRICK JACKSON, individually and as successor-in-interest for KRIS JACKSON, Deceased; Plaintiffs, vs. ) ) ) ) ) ) ) ) CITY OF SOUTH LAKE TAHOE, a public ) entity; JOSHUA KLINGE, individually and as a ) police officer for the City of South Lake Tahoe; ) ELI CLARK, individually and as a police ) officer for the City of South Lake Tahoe; City ) of South Lake Tahoe Chief of Police BRIAN ) UHLER, individually; and DOES 2 THROUGH ) 10, Jointly and Severally, ) No: 2:16-cv-00049-TLN-CKD STIPULATION AND ORDER TO MODIFY REBUTTAL EXPERT DISCLOSURE DUE DATE 26 27 Defendants 28 No: 2:16-cv-00049-TLN-CKD: STIP. AND ORDER TO MODIFY REBUTTAL EXPERT REPORT DUE DATE 1 On April 18, 2018, pursuant to stipulation by all parties, this Court modified the non-expert 2 discovery cutoff date as well as the due dates for expert reports. (Doc. 41). The parties 3 inadvertently neglected to request an extension for rebuttal expert reports. Because the Court 4 modified the due date of expert reports, originally due June 28, 2018, to August 3, 2018, the parties 5 respectfully request that the Court modify the due date for rebuttal expert reports as follows: 6 7 8 Case Event Current Date Proposed Date Rebuttal Expert Reports July 18, 2018 August 23, 3018 9 10 11 12 For the forgoing reasons, the parties respectfully request that the Court modify the due date for rebuttal expert reports as requested herein. Dated: June 15, 2018 13 By:/s/ Maya Sorensen 14 MAYA SORENSEN Attorneys for Plaintiff Jackson 15 16 HADDAD & SHERWIN LLP DATED: June 15, 2018 LAW OFFICES OF DALE K. GALIPO 17 18 _/s/ Dale Galipo________ Dale K. Galipo Attorneys for Plaintiff Angela Ainley 19 20 DATED: June 15, 2018 FERGUSON PRAET & SHERMAN 21 22 23 24 __/s/ Bruce Praet___________ Bruce Praet Attorneys for Defendants City of South Lake Tahoe and Joshua Klinge 25 26 27 28 No: 2:16-cv-00049-TLN-CKD: STIP. AND ORDER TO MODIFY REBUTTAL EXPERT REPORT DUE DATE 1 2 3 4 MODIFIED REBUTTAL EXPERT REPORT DUE DATE ORDER Pursuant to the Court’s Minute Order and stipulation of the parties, and for good cause, IT IS SO ORDERED. Dated: June 25, 2018 5 6 7 8 Troy L. Nunley United States District Judge 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 No: 2:16-cv-00049-TLN-CKD: STIP. AND ORDER TO MODIFY REBUTTAL EXPERT REPORT DUE DATE

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