Augustine et al v. County of Sacramento et al
Filing
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STIPULATION and ORDER signed by Magistrate Judge Allison Claire on 3/28/2019 VACATING the previously set discovery deadlines and RESETTING as follows: Designation of Expert Witnesses due by 6/7/2019, Supplemental/Rebuttal Expert Witnesses due by 6/28/2019, and Discovery to be completed by 8/9/2019. (Huang, H)
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A PROFESSIONAL CORPORATION
Carl L. Fessenden, SBN 161494
William E. Camy, SBN 291397
350 University Ave., Suite 200
Sacramento, California 95825
TEL: 916.929.1481
FAX: 916.927.3706
Attorneys for Defendants
COUNTY OF SACRAMENTO, JAMES SCHAEFERS AND JOSEPH CAMPOY
LAW OFFICE OF STEWART KATZ
STEWART KATZ, State Bar #127425
555 University Avenue, Suite 270
Sacramento, California 95825
TEL: 916.444.5678
Attorney for Plaintiffs
UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF CALIFORNIA
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PORTER | SCOTT
350 University Ave., Suite 200
Sacramento, CA 95825
TEL: 916.929.1481
FAX: 916.927.3706
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ROBERT AUGUSTINE, individually and as
successor in interest to LOGAN
AUGUSTINE, Deceased; TIFFANY
AUGUSTINE, individually and as successor
in interest to LOGAN AUGUSTINE,
Deceased,
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Plaintiff,
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STIPULATION TO CONTINUE THE
EXPERT DISCLOSURE AND
DISCOVERY DEADLINES;
[PROPOSED] ORDER
Complaint Filed: 12/12/2017
v.
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CASE NO. 2:17−CV−02605−WBS−AC
COUNTY OF SACRAMENTO; JAMES
SCHAEFERS; JOSEPH CAMPOY; and
DOES 1 - 5, inclusive,
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Defendants.
___________________________________/
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This Stipulation is entered into by and between Plaintiffs ROBERT AUGUSTINE,
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individually and as successor in interest to LOGAN AUGUSTINE, Deceased; TIFFANY
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AUGUSTINE, individually and as successor in interest to LOGAN AUGUSTINE, Deceased,
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(“Plaintiffs”) and Defendants COUNTY OF SACRAMENTO; JAMES SCHAEFERS; JOSEPH
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CAMPOY (“Defendants”) through their counsel of record.
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STIPULATION TO CONTINUE THE EXPERT DISCLOSURE AND DISCOVERY DEADLINES;
[PROPOSED] ORDER
{01987859.DOCX}
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The Court previously set the deadline to disclose experts to be May 6, 2019, the deadline to
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disclose supplemental/rebuttal experts to be June 6, 2019, and the deadline to complete discovery to
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be July 12, 2019. Dckt. No. 11.
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Given the issues presented by this case, the parties are still in the process of completing
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discovery that needs to be completed prior to the disclosure of expert witnesses and expert
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witnesses’ reports. The parties have conferred and agree to continue the expert disclosure deadline
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to June 7, 2019, the supplemental/rebuttal expert disclosure deadline to June 28, 2019, and the
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discovery deadline to August 9, 2019. The parties submit good cause exists to extend the
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aforementioned deadlines. The parties further submit that continuing the aforementioned deadlines
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will not impact the Court’s schedule. Specifically, continuing these deadlines will not disturb the
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last day to file dispositive motions and/or the trial date.
PORTER | SCOTT
350 University Ave., Suite 200
Sacramento, CA 95825
TEL: 916.929.1481
FAX: 916.927.3706
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IT IS SO STIPULATED.
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Dated: March 28, 2019
PORTER SCOTT
A PROFESSIONAL CORPORATION
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By /s/ William E. Camy
William E. Camy
Attorneys for Defendants
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Dated: March 28, 2019
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By /s/ Stewart Katz - as authorized on 3/25/2019
Stewart Katz
Attorney for Plaintiffs
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LAW OFFICE OF STEWART KATZ
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STIPULATION TO CONTINUE THE EXPERT DISCLOSURE AND DISCOVERY DEADLINES;
[PROPOSED] ORDER
{01987859.DOCX}
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[PROPOSED] ORDER
Based upon the Stipulation of the parties:
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The
deadlines
previously
set
for
the
disclosure
of
expert
witnesses,
supplemental/rebuttal expert witnesses, and to complete discovery are vacated.
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2.
The new deadline to disclose expert witnesses is June 7, 2019.
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3.
The new deadline to disclose supplemental/rebuttal expert witnesses is June 28,
2019.
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4.
The new deadline to complete discovery is August 9, 2019.
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PORTER | SCOTT
350 University Ave., Suite 200
Sacramento, CA 95825
TEL: 916.929.1481
FAX: 916.927.3706
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IT IS SO ORDERED.
DATED: March 28, 2019
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STIPULATION TO CONTINUE THE EXPERT DISCLOSURE AND DISCOVERY DEADLINES;
[PROPOSED] ORDER
{01987859.DOCX}
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