Wren et al v. RGIS Inventory Specialists

Filing 573

ORDER Granting re 572 Stipulation Re Deposition of Dr. Slottje filed by Trisha Wren, Brent Whitman, Kevin Barnes, Cynthia Piper. Signed by Judge Joseph C. Spero on 10/15/08. (fj, COURT STAFF) (Filed on 10/15/2008)

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1 Todd M. Schneider, Cal Bar No. 158253 Guy B. Wallace, Cal. Bar No. 176151 2 Nancy J. Park, Cal. Bar No. 236750 Naomi B. Sunshine, Cal. Bar No. 244094 3 Christian Schreiber, Cal. Bar No. 245597 Andrew P. Lee, Cal. Bar No. 245903 4 SCHNEIDER WALLACE COTTRELL BRAYTON KONECKY LLP 5 180 Montgomery Street, Suite 2000 San Francisco, CA 94104 6 Telephone: (415) 421-7100 Fax: (415) 421-7105 7 8 Attorneys for Plaintiffs 9 10 11 12 13 14 UNITED STATES DISTRICT COURT 15 16 17 18 19 20 vs. 21 RGIS Inventory Specialists, LLC, RGIS, 22 LLC, and Does 1-25 Inclusive, 23 24 25 26 27 28 STIPULATION AND [PROPOSED] ORDER RE DEPOSITION OF DR. SLOTTJE Case No. 3:06-cv-05778 JCS & Case No. 3:07-cv-00032 JCS NORTHERN DISTRICT OF CALIFORNIA TRISHA WREN and CYNTHIA PIPER, Case Nos. 3:06-cv-05778 JCS, 3:07-cv-00032 JCS et al., individually and on behalf of others CLASS AND COLLECTIVE ACTION similarly situated, STIPULATION AND [proposed] ORDER RE DEPOSITION OF DR. SLOTTJE Plaintiffs, Honorable Joseph C. Spero Defendants. 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 IT IS HEREBY STIPULATED by and between the parties through their counsel of record that: 1. The deposition of Defendant's designated expert statistician Dr. Slottje was originally scheduled for October 15, 2008. The current cut-off for expert discovery is October 27, 2008. 2. Plaintiffs' counsel are not available to take the deposition of Dr. Slottje this week. Guy Wallace is not available because he will be out of the office so that he can be present during and after his mother's chemotherapy treatment for her leukemia. 3. Defendant has agreed to reschedule the deposition of Dr. Slottje. Plaintiffs' counsel appreciate the extension of this courtesy. 4. The next available date for Plaintiffs' counsel, Defendant's counsel, and Dr. Slottje is on October 30, 2008. That date is three days after the present cut-off for expert discovery. Accordingly, Plaintiffs file this proposed Stipulation and Order regarding the Slottje deposition, and seek this Court's approval to take his deposition on October 30. 5. This proposed stipulation regarding the schedule would only apply to this deposition. Plaintiffs' counsel do not believe it would have any impact on any other aspect of the case schedule. IT IS SO STIPULATED. October 13, 2008 SCHNEIDER WALLACE COTTRELL BRAYTON KONECKY LLP By: ______/s/________________ Guy B. Wallace Counsel for Plaintiffs October 13, 2008 26 27 28 By: DRINKER, BIDDLE & REATH LLP ________/s/______________ Cheryl D. Orr Counsel for RGIS, LLC 1 STIPULATION AND [PROPOSED] ORDER RE DEPOSITION OF DR. SLOTTJE Case No. 3:06-cv-05778 JCS & Case No. 3:07-cv-00032 JCS 1 2 3 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 15 Dated: October ____, 2008 IT IS SO ORDERED. ORDER Good cause appearing, the parties' stipulation is hereby approved. UNIT ED S S DISTRICT TE C TA ER N F D IS T IC T O R STIPULATION AND [PROPOSED] ORDER RE DEPOSITION OF DR. SLOTTJE Case No. 3:06-cv-05778 JCS & Case No. 3:07-cv-00032 JCS A C LI o __________________________________ C. Sper HON.uJOSEPH h . SPERO ge Josep C Jd United States Magistrate Judge FO R NIA I ORD T IS SO ERED RT U O NO RT H 2

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