Gomez v. Sogge et al

Filing 268

STIPULATION AND ORDER EXTENDING DEADLINE FOR DEPOSITION OF EXPERT WITNESS. The date to complete expert discovery is extended through and including December 13, 2012 for the sole purpose of allowing Plaintiff to take Dr. Bastida's deposition. Signed by Judge Maxine M. Chesney on December 10, 2012. (mmclc2, COURT STAFF) (Filed on 12/10/2012)

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1 2 3 4 Roger M. Hughes (Bar No. 53788) Thiele R. Dunaway (Bar No. 130953) WENDEL, ROSEN, BLACK & DEAN LLP 1111 Broadway, 24th Floor Oakland, California 94607 Telephone: (510) 834-6600 Fax: (510) 834-1928 Email: rhughes@wendel.com 5 6 Attorneys for Plaintiff Pedro Gomez 7 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 SAN FRANCISCO DIVISION 11 12 Oakland, CA 94607 1111 Broadway, 24th Floor Wendel, Rosen, Black & Dean LLP 8 PEDRO GOMEZ, 13 14 15 Case No. C 08-2969 MMC (PR) Plaintiff, vs. STIPULATION AND PROPOSED ORDER EXTENDING DEADLINE FOR DEPOSITION OF EXPERT WITNESS DOCTOR MERLE SOGGE, et al., 16 Defendants. 17 18 WHEREAS, on August 27, 2012, the Court Modified the Pretrial Order in this matter to 19 continue the trial date to January 14, 2013 at 9:00 a.m., and the Court set the following revised 20 pretrial schedule: 21 JURY TRIAL DATE: January 14, 2013 at 9:00 a.m. 22 PRETRIAL CONFERENCE DATE: December 18, 2012 at 10:00 a.m. 23 DESIGNATION OF EXPERTS: 24 Plaintiff: no later than October 1, 2012. 25 Defendant: Rebuttal no later than November 5, 2012. 26 EXPERT DISCOVERY CUTOFF: November 26, 2012. 27 On November 13, 2012 Defendants served their Amended Expert Witness Disclosure 28 identifying Dr. J. Augusto Bastidas as an expert witness. Counsel for Plaintiff Pedro Gomez and 017712.0001\2627771.1 STIPULATION AND PROPOSED ORDER REGARDING EXPERT DISCOVERY -- Case No. C 08-2969 MMC (PR) 1 for Defendants Mills and Quam have stipulated and agreed, for the convenience of the witness 2 and the parties, to extend the deadline for expert discovery through December 13, 2012, for the 3 sole purpose of allowing Plaintiff to take Dr. Bastidas’s deposition on December 13, 2012. 4 5 Dated: December 7, 2012 /s/ Thiele R. Dunaway Thiele R. Dunaway Wendel Rosen Black & Dean LLP Attorneys for Plaintiff Pedro Gomez 6 7 8 Dated: December 7, 2012 /s/ Scott J. Feudale Scott J. Feudale Deputy Attorney General Attorneys for Defendants Mills and Quam 9 12 Oakland, CA 94607 , 24th Floor 11 1111 Broadway Wendel, Rosen, Black & Dean LLP 10 ORDER 13 14 Pursuant to the stipulation of the parties, and good cause appearing, the date to complete 15 expert discovery is extended through and including December 13, 2012, for the sole purpose of 16 allowing Plaintiff to take Dr. Bastidas’s deposition. 17 IT IS SO ORDERED. 18 19 December 10, 2012 Dated: ___________________________ 20 _______________________________ Maxine M. Chesney UNITED STATES DISTRICT JUDGE 21 22 23 24 25 26 27 28 017712.0001\2627771.1 -2STIPULATION AND PROPOSED ORDER REGARDING EXPERT DISCOVERY -- Case No. C 08-2969 MMC (PR)

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