Garcia v. Kratos Defense Solutions
Filing
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STIPULATION and ORDER signed by District Judge Troy L. Nunley on 5/30/2018 ORDERING that the Discovery Deadline is EXTENDED to 6/22/2018; Responses due 6/8/2018; Discovery Cut-off as it pertains only to Mr. Demarco's deposition and Defendant's responses to Plaintiff's Supplemental Request for Production of Documents EXTENDED to 7/16/2018. (Fabillaran, J)
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ROBERT BOWMAN, Bar No. 232388
rbowman@bowmanandassoc.com
LAW OFFICES OF BOWMAN & ASSOCIATES
3230 Ramos Circle
Sacramento, CA 95827
Telephone
(916) 923-2800
Fax No.
(916) 358-8689
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Attorneys for Plaintiff
ROY GARCIA
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BARBARA A. BLACKBURN, Bar No. 253731
bblackburn@littler.com
SIMERDIP KHANGURA, Bar No. 272525
skhangura@littler.com
LITTLER MENDELSON, P.C.
500 Capitol Mall, Suite 2000
Sacramento, CA 95814
Telephone:
916.830.7200
Fax No.
916.561.0828
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Attorneys for Defendant
KRATOS DEFENSE SOLUTIONS
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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ROY GARCIA,
Case No. 2:17-CV-01202-TLN-EFB
Plaintiff,
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v.
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STIPULATION EXTENDING
DISCOVERY DATES AND ORDER
KRATOS DEFENSE SOLUTIONS AND
DOES 1 THOROUGH 100, INCLUSIVE,
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Complaint Filed:
February 23, 2017
Defendant.
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____________________________________
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LITTLER MENDELSON, P.C.
500 Capitol Mall
Suite 2000
Sacramento, CA 95814
916.830.7200
Case No. 2:17-CV-01202-TLN-EFB
STIPULATION EXTENDING DISCOVERY DATES AND ORDER
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Plaintiff Roy Garcia (hereinafter “Garcia” or “Plaintiff”) and Defendant Kratos
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Defense & Security Solutions, Inc. (hereinafter “Kratos” or “Defendant”) by and through their
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respective counsel, have worked to accommodate each other regarding the scheduling of depositions
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in this matter. The current non-expert discovery cut-off in this matter is May 31, 2018; however, the
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Parties have agreed to allow the deposition of Eric Demarco (CEO for Defendant) to proceed on June
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22, 2018.
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Additionally, Plaintiff served a Supplemental Request for Production of Documents,
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Set 2, on Defendant, which requires Defendant to engage in e-discovery. The Parties are in the process
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of meeting and conferring regarding the scope of the e-discovery. The Parties have agreed that
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Defendant’s responses are due June 8, 2018, instead of May 24, 2018.
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Accordingly, the Parties hereby stipulate to extend discovery cut-off as it pertains only
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to Mr. Demarco’s deposition and Defendant’s responses to Plaintiff’s Supplemental Request for
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Production of Documents, Set 2, to July 16, 2018 (allowing the Parties some additional time in case
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there are any other issues that arise that require the Parties to meet and confer).
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IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
Dated: May 29, 2018,
LITTLER MENDELSON, P.C.
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By: :/s/ Barbara A. Blackburn
BARBARA A. BLACKBURN
SIMERDIP KHANGURA
Attorneys for Defendant
KRATOS DEFENSE SOLUTIONS
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Dated: May 29, 2018,
LAW OFFICES OF BOWMAN & ASSOC.
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By: :/s/ Robert Bowman
ROBERT BOWMAN
Attorneys for Defendant
KRATOS DEFENSE SOLUTIONS
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
DATED: May 30, 2018
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Troy L. Nunley
United States District Judge
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LITTLER MENDELSON, P.C.
500 Capitol Mall
Suite 2000
Sacramento, CA 95814
916.830.7200
2.
Case No. 2:17-CV-01202-TLN-EFB
STIPULATION EXTENDING DISCOVERY DATES AND ORDER
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