Federal Ins. Co. v. Whirlpool Corp., et al.,

Filing 30

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 3/10/2017 ORDERING the deadline for Discovery is EXTENDED to 4/11/2017 solely to allow for the taking of the depositions of Defendant 3M Company's Person(s) Most Knowledgeable. (Washington, S)

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1 2 3 STEVEN H. YUSTER, Bar No. 188444 KULUVA, ARMIJO & GARCIA 555 S. Flower Street Suite 600 Los Angeles, California 90071 (213) 612-5335 (213) 612-5712 4 5 6 Attorneys for, Federal Insurance Company 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 12 FEDERAL INSURANCE COMPANY, AS SUBROGEE OF RAYMOND & RICKI SYUFY vs. 14 16 Assigned to: District Judge Troy L. Nunley Plaintiff, 13 15 CASE NO. 2:16-CV-01678-TLN-EFB STIPULATION AND ORDER RE: EXTENSION OF DISCOVERY DEADLINE TO ALLOW FOR DEPOSITION OF 3M COMPANY’S PERSON(S) MOST KNOWLEDGEABLE WHIRLPOOL CORPORATION; 3M COMPANY; AND DOES 1 THROUGH 50, INCLUSIVE Defendants. 17 Trial Date: February 12, 2018 18 TO THE COURT, ALL PARTIES, AND THEIR ATTORNEYS OF 19 20 RECORD: 21 WHEREAS, this matter is currently scheduled for trial on February 12, 2018; 22 WHEREAS, the deadline to complete discovery on this matter is March 12, 23 24 2017; WHEREAS, Plaintiff Federal Insurance Company timely noticed the 25 depositions of Defendant 3M Company’s Person(s) Most Knowledgeable on February 26 9, 2017 for March 10, 2017, attached hereto as Exhibit A; 27 WHEREAS, Defendant 3M Company notified Plaintiff Federal Insurance 28 29 30 1 STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINE 1 Company on March 7, 2017 that Defendant 3M Company’s Person(s) Most 2 Knowledgeable would not be made available until the week of March 20, 2017, or 3 March 27, 2017, after the discovery deadline, attached hereto as Exhibit B; 4 WHEREAS, the Parties agree to extend non-expert discovery cutoff to April 5 11, 2017 solely to allow for the taking of the depositions of Defendant 3M Company’s 6 Person(s) Most Knowledgeable as identified in the notice dated and served on 7 February 9, 2017; 8 9 10 WHEREAS, the Parties agree that Defendant 3M Company’s Person(s) Most Knowledgeable will be made available telephonically for said depositions on or before April 11, 2017, and such deposition will be completed prior to or on that date; 11 IT IS HEREBY STIPULATED AND AGREED by the Parties in this action 12 that the discovery deadline presently set for March 12, 2017 be extended to April 11, 13 2017 solely to allow for the taking of the depositions of Defendant 3M Company’s 14 Person(s) Most Knowledgeable. 15 16 17 18 DATED: March 9, 2017 KULUVA, ARMIJO & GARCIA 19 By: /s/ Steven H. Yuster STEVEN H. YUSTER Attorney for Federal Insurance Company 20 21 22 23 24 DATED: March 9, 2017 NELSON MULLINS 25 By: /s/Sarah T. Eibling SARAH T. EIBLING Attorney for 3M Company Whirlpool Corporation 26 27 28 29 30 2 STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINE 1 2 IT IS SO ORDERED. DATED: March 10, 2017 3 Troy L. Nunley United States District Judge 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 3 STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINE

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