Harrington v. Datalink Corporation et al
Filing
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STIPULATION and ORDER signed by Magistrate Judge Kendall J. Newman on 3/7/18: The expert disclosure date moved 30 days from March 9, 2018, to April 9, 2018. The discovery cut-off date moved by 30 days from May 14, 2018, to June 13, 2018. (Kaminski, H)
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Jill P. Telfer (SBN 145450)
LAW OFFICES OF JILL P. TELFER
A Professional Corporation
331 J Street, Suite 200
Sacramento, California 95814
Telephone: (91 6) 446-1916
Facsimile: (916) 446-1726
jtelfer@telferlaw.com
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Attorneys for Plaintiff
TIM HARRINGTON
SHEPPARD, MULLIN, RICHTER &
HAMPTON LLP
A Limited Liability Partnership
Including Professional Corporations
PAUL S. COWIE (SBN 250131)
379 Lytton Avenue
Palo Alto, California 94301-1479
Telephone: 650.815.2600
Facsimile: 650.815.2601
Email pcowie@sheppardmullin.com
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BRIAN S. FONG (SBN 262846)
Four Embarcadero Center, 17th Floor
San Francisco, California 94111-4109
Telephone: 415.434.9100
Facsimile: 415.434.3947
Email: bfong@sheppardmullin.com
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Attorneys for Defendant
DATALINK CORPORATION and
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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TIM HARRINGTON,
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Plaintiff,
v.
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STIPULATION TO MOVE THE EXPERT
DISCLOSURE AND DISCOVERY CUTOFF DATE; ORDER
DATALINK CORPORATION, INSIGHT
ENTERPRISES INC., and DOES 1 through 20,
inclusive,
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Case No. 2:17-CV-00348-WBS-KJN
Defendant.
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STIPULATION TO MOVE THE EXPERT DISCLOSURE AND DISCOVERY CUT-OFF DATE; [PROPOSED] ORDER
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Experts are currently scheduled to be disclosed March 9, 2018, the discovery cut-off date is
currently set for May 14, 2018, and trial in this matter is currently set for December 4, 2018. The parties
have elected to participate in private mediation. So as not to incur needless costs should this case settle
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at mediation, the parties have delayed taking three depositions, two of which require travel to the
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Midwest. As a result, the parties stipulate to move the expert disclosures and discovery cut-off 30 days
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to allow parties to proceed with mediation scheduled for March 15, 2018 in an attempt to resolve this
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matter.
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Plaintiff Tim Harrington (“Harrington”) and Defendant Datalink Corporation (“Datalink”), by
and through their respective counsel, have Stipulated to move the expert disclosure date 30 days and the
discovery cut-off date for 30 days.
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IT IS HEREBY STIPULATED AND AGREED by the parties, through their counsel, that
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(1)
The expert disclosure date will be moved 30 days from March 9, 2018, to April 9, 2018.
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(2)
The discovery cut-off date will be moved by 30 days from May 14, 2018, to June 13,
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2018.
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IT IS SO STIPULATED.
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DATED: March
, 2018
LAW OFFICES OF JILL P. TELFER
A Professional Corporation
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/s/ Jill P. Telfer
By:
____________________________________
Jill P. Telfer
Attorney for Plaintiff
TIM HARRINGTON
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STIPULATION TO MOVE THE DISCOVERY CUT-OFF DATE; [PROPOSED] ORDER
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DATED: March , 2018
SHEPPARD, MULLIN, RICHTER & HAMPTON
LLP
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/s/ Brian Fong
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By:
Paul S. Cowie
Brian S. Fong
Attorneys for Defendants
DATALINK CORPORATION and
INSIGHT ENTERPRISES, INC.
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ORDER
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The Court has reviewed and approved the foregoing Stipulation of the parties and enters the
terms of the Stipulation as the Order of this Court, as follows:
(1)
The expert disclosure date will be moved 30 days from March 9, 2018, to April 9, 2018.
(2)
The discovery cut-off date will be moved by 30 days from May 14, 2018, to June 13,
2018.
Dated: March 7, 2018
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STIPULATION TO MOVE THE DISCOVERY CUT-OFF DATE; [PROPOSED] ORDER
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