Garcia v. Kratos Defense Solutions

Filing 13

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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1 2 3 4 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 5 6 Attorneys for Plaintiff ROY GARCIA 7 12 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 13 Attorneys for Defendant KRATOS DEFENSE SOLUTIONS 8 9 10 11 14 UNITED STATES DISTRICT COURT 15 EASTERN DISTRICT OF CALIFORNIA 16 17 18 ROY GARCIA, Case No. 2:17-CV-01202-TLN-EFB Plaintiff, 19 20 v. 21 STIPULATION EXTENDING DISCOVERY DATES AND ORDER KRATOS DEFENSE SOLUTIONS AND DOES 1 THOROUGH 100, INCLUSIVE, 22 Complaint Filed: February 23, 2017 Defendant. 23 24 ____________________________________ 25 26 27 28 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 1 Plaintiff Roy Garcia (hereinafter “Garcia” or “Plaintiff”) and Defendant Kratos 2 Defense & Security Solutions, Inc. (hereinafter “Kratos” or “Defendant”) by and through their 3 respective counsel, have worked to accommodate each other regarding the scheduling of depositions 4 in this matter. The current non-expert discovery cut-off in this matter is May 31, 2018; however, the 5 Parties have agreed to allow the deposition of Eric Demarco (CEO for Defendant) to proceed on June 6 22, 2018. 7 Additionally, Plaintiff served a Supplemental Request for Production of Documents, 8 Set 2, on Defendant, which requires Defendant to engage in e-discovery. The Parties are in the process 9 of meeting and conferring regarding the scope of the e-discovery. The Parties have agreed that 10 Defendant’s responses are due June 8, 2018, instead of May 24, 2018. 11 Accordingly, the Parties hereby stipulate to extend discovery cut-off as it pertains only 12 to Mr. Demarco’s deposition and Defendant’s responses to Plaintiff’s Supplemental Request for 13 Production of Documents, Set 2, to July 16, 2018 (allowing the Parties some additional time in case 14 there are any other issues that arise that require the Parties to meet and confer). 15 16 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. Dated: May 29, 2018, LITTLER MENDELSON, P.C. 17 By: :/s/ Barbara A. Blackburn BARBARA A. BLACKBURN SIMERDIP KHANGURA Attorneys for Defendant KRATOS DEFENSE SOLUTIONS 18 19 20 Dated: May 29, 2018, LAW OFFICES OF BOWMAN & ASSOC. 21 By: :/s/ Robert Bowman ROBERT BOWMAN Attorneys for Defendant KRATOS DEFENSE SOLUTIONS 22 23 24 25 PURSUANT TO STIPULATION, IT IS SO ORDERED. DATED: May 30, 2018 26 27 Troy L. Nunley United States District Judge 28 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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