Brown v. City of Davis et al

Filing 18

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 5/9/17 ORDERING that Designation of Expert Witnesses due 9/8/2017, Supplemental Expert Witness Disclosure due 9/28/2017, and Discovery due by 7/8/2017. (Kastilahn, A)

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1 2 3 4 5 6 7 LONGYEAR, O’DEA & LAVRA, LLP John A. Lavra, CSB No.: 114533 Kelley S. Kern, CSB No.: 221265 3620 American River Drive, Suite 230 Sacramento, CA 95864 Phone: 916-974-8500 Facsimile: 916-974-8510 Attorneys for City of Davis, Michael Munoz, Ryan Bellamy, Sean Bellamy, and Glenn Glasgow 8 12 LAW OFFICES OF WILLIAM F. WRIGHT William F. Wright Julie Doumit 1731 J. Street, Suite 250 Sacramento, Ca 95811 Phone: 916-442-8614 Facsimile: 916-442-5679 wfwattny@aol.com 13 Attorneys for Plaintiff Brigette D. Brown 9 10 11 14 15 UNITED STATES DISTRICT COURT 16 EASTERN DISTRICT OF CALIFORNIA SACRAMENTO DIVISION 17 18 19 20 21 22 BRIGETTE D. BROWN, ) ) Plaintiff, ) ) vs. ) ) CITY OF DAVIS, MICHAEL MUNOZ, ) RYAN BELLAMY, SEAN BELLAMY, ) GLENN GLASGOW and DOES 1 through ) 50, inclusive, ) ) Defendant ) Case No.: 2:16-cv-00638-TLN-KJN STIPULATION AND ORDER TO MODIFY SCHEDULING ORDER AND REOPEN DISCOVERY 23 24 COMES NOW THE PARTIES by and through their respective counsel and subject to the 25 approval of this Court, hereby stipulate and respectfully request that this Court’s Pretrial 26 Scheduling Order dated Court’s Pretrial Scheduling Order dated June 13, 2016 [ECF No. 12] be 27 modified/amended to reflect new deadlines as follow: 28 STIPULATION TO MODIFY SCHEDULING ORDER AND REOPEN DISCOVERY Page - 1 1 2 3 4 5  Expert Witness Disclosure, currently set for June 8, 2017, to be moved to September 8, 2017;  Supplemental Expert Witness Disclosure, currently set for June 28, 2017, to be moved to September 28, 2017;  Discovery cutoff previously set for April 6, 2017, be reopened and completed by July 8, 2017; Although the parties have proceeded diligently to conduct discovery in this matter, there 6 remains some additional necessary discovery that has not been completed, as well as outstanding 7 subpoenas for records. By this request, the parties seek only to continue the discovery cutoff 8 date and disclosure of expert witnesses and do not request that any other deadline in this case be 9 continued, including the deadline for, the hearing of dispositive motions, the pretrial conference, 10 or the trial itself. No prior request has been made for continuance in this matter. Neither party 11 will suffer any disadvantage by the granting of this request. 12 13 For the foregoing reasons, the parties agree, and stipulate to modify the scheduling order to re-open discovery, and continue the deadline for expert witness disclosure. 14 15 Dated: May 9, 2017 LONGYEAR, O’DEA & LAVRA, LLP 16 By: /s/ John A. Lavra JOHN A. LAVRA Attorney for Defendants City of Davis et al. 17 18 19 Dated: May 9, 2017 LAW OFFICES OF WILLIAM F. WRIGHT 20 By: /s/ William F. Wright WILLIAM F. WRIGHT Attorney for Plaintiff Brigette D. Brown 21 22 23 IT IS SO ORDERED. 24 25 May 9, 2017 26 27 Troy L. Nunley United States District Judge 28 STIPULATION TO MODIFY SCHEDULING ORDER AND REOPEN DISCOVERY Page - 2

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