Brown v. City of Davis et al
Filing
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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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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
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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
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Attorneys for Plaintiff Brigette D. Brown
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA SACRAMENTO DIVISION
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BRIGETTE D. BROWN,
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Plaintiff,
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vs.
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CITY OF DAVIS, MICHAEL MUNOZ,
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RYAN BELLAMY, SEAN BELLAMY,
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GLENN GLASGOW and DOES 1 through )
50, inclusive,
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Defendant
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Case No.: 2:16-cv-00638-TLN-KJN
STIPULATION AND ORDER TO
MODIFY SCHEDULING ORDER AND
REOPEN DISCOVERY
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COMES NOW THE PARTIES by and through their respective counsel and subject to the
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approval of this Court, hereby stipulate and respectfully request that this Court’s Pretrial
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Scheduling Order dated Court’s Pretrial Scheduling Order dated June 13, 2016 [ECF No. 12] be
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modified/amended to reflect new deadlines as follow:
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STIPULATION TO MODIFY SCHEDULING ORDER AND REOPEN DISCOVERY
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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
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remains some additional necessary discovery that has not been completed, as well as outstanding
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subpoenas for records. By this request, the parties seek only to continue the discovery cutoff
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date and disclosure of expert witnesses and do not request that any other deadline in this case be
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continued, including the deadline for, the hearing of dispositive motions, the pretrial conference,
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or the trial itself. No prior request has been made for continuance in this matter. Neither party
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will suffer any disadvantage by the granting of this request.
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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.
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Dated: May 9, 2017
LONGYEAR, O’DEA & LAVRA, LLP
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By: /s/ John A. Lavra
JOHN A. LAVRA
Attorney for Defendants City of Davis et al.
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Dated: May 9, 2017
LAW OFFICES OF WILLIAM F. WRIGHT
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By: /s/ William F. Wright
WILLIAM F. WRIGHT
Attorney for Plaintiff Brigette D. Brown
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IT IS SO ORDERED.
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May 9, 2017
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Troy L. Nunley
United States District Judge
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STIPULATION TO MODIFY SCHEDULING ORDER AND REOPEN DISCOVERY
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