Huerta v. Denhoy et al

Filing 42

ORDER re 41 Stipulation filed by Balwant S. Denhoy, Nita Denhoy, Sukhwant K. Denhoy. Signed by Judge Laporte on 6/7/10. (edllc1, COURT STAFF) (Filed on 6/7/2010)

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Case3:09-cv-03130-EDL Document41 Filed06/07/10 Page1 of 7 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 Schiff Hardin LLP Attorneys At Law San Francisco SCHIFF HARDIN LLP Bruce A. Wagman (CSB # 159987) One Market, Spear Street Tower, 32nd Fl. San Francisco, CA 94105 Phone: (415) 901-8700 / Fax: (415) 901-8701 Email: bwagman@schiffhardin.com Attorneys for Plaintiff THERESA HUERTA LAW OFFICES OF KAPLAN & SAM Benjamin Elliot Kaplan (CSB # 4346) Douglas Cameron MacLellan (CSB # 169933) 601 Van Ness Ave., Ste. 2090 San Francisco, CA 94601 Phone: (415) 447-8300 / Fax: (415) 447-8333 Email: dcmaclellan@sbcglobal.net kaplansam@sbcglo bal. net Attorneys for Defendants BALWANT S. DENHOY and SUKHWANT K. DENHOY, as individuals and as Trustees of THE DENHOY LIVING TRUST, d.b.a. WILLOW PASS MOBILE HOME PARK, and NITA DENHOY UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA THERESA HUERTA Plaintiff vs. BALWANT S. DENHOY and SUKHWANT K. DENHOY, as individuals and as trustees of THE DENHOY LIVING TRUST, d.b.a. WILLOW PASS MOBILE HOME PARK, THE DENHOY LIVING TRUST, NITA DENHOY, and DOES 1 THROUGH 10, INCLUSIVE, Defendants. Case No. C-09-03130 EDL FURTHER REVISED STIPULATION AND ORDER RE EXTENSION OF ALL DISCOVERY DEADLINES AND OTHER PRETRIAL DEADLINES Complaint Filed: July 10, 2009 Trial Date: November 15, 2010 /// /// FURTHER REVISED STIPULATION AND ORDER RE EXTENSION OF ALL DISCOVERY DEADLINES AND OTHER PRETRIAL DEADLINES Case3:09-cv-03130-EDL Document41 Filed06/07/10 Page2 of 7 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 Schiff Hardin LLP Attorneys At Law San Francisco Whereas Plaintiff THERESA HUERTA and Defendants BALWANT S. DENHOY and SUKHWANT K. DENHOY, as individuals and as trustees of THE DENHOY LIVING TRUST, d.b.a. WILLOW PASS MOBILE HOME PARK, THE DENHOY LIVING TRUST and NITA DENHOY [collectively, the Parties] have been diligently pursuing the taking of discovery in the above-entitled action; Whereas the Parties have cooperated in the conduct of discovery, including, by way of example and not by way of limitation, in seeking and granting extensions of time for responding to written discovery, in setting and taking deposition discovery and by entering into the STIPULATION RE THE USE OF DISCOVERY AND EVIDENCE OBTAINED IN THE STATE COURT UNLAWFUL DETAINER ACTION filed March 31, 2010, thereby avoiding the need to take duplicative discovery; Whereas the Parties have by mutual agreement deemed it advantageous to extend all currently ordered discovery deadlines, including the June 2, 2010 deadline to supplement and/or correct all previously made disclosures and discovery responses, as well as deadlines related to dispositive motions, by three weeks; and: Whereas the extension of deadlines as set forth herein is not intended to alter any other current deadlines or the trial date in this case; The Parties by and through their attorneys of record hereby agree and stipulate to extension of discovery deadlines set forth in the Court's CASE MANAGEMENT AND PRETRIAL ORDER FOR JURY TRIAL dated November 3, 2009, as follows: The deadline of Wednesday, June 2, 2010, to supplement and/or correct all previously made disclosures and discovery responses shall be extended to Wednesday, June 23, 2010, notwithstanding the fact that said deadline has already passed. The current deadline of Wednesday, June 30, 2010, to complete all non-expert discovery (fact discovery cut-off) shall be extended to Wednesday, July 21, 2010. The current deadline of Wednesday, July 7, 2010, to file Motions to compel non-expert discovery (seven days after the fact discovery cut-off, as provided by Local Rule 26-2) shall be extended to Wednesday, July 28, 2010. -2FURTHER REVISED STIPULATION AND ORDER RE EXTENSION OF ALL DISCOVERY DEADLINES AND OTHER PRETRIAL DEADLINES Case3:09-cv-03130-EDL Document41 Filed06/07/10 Page3 of 7 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 Schiff Hardin LLP Attorneys At Law San Francisco The current deadline of Tuesday, July 13, 2010, for service and filing of moving papers for dispositive motions shall be extended to Tuesday, July 27, 2010. The current deadline of Tuesday, July 27, 2010, for service and filing of oppositions to dispositive motions shall be extended to Tuesday, August 10, 2010. The current deadline of Tuesday, August 3, 2010, for the filing and service of any reply to opposition to dispositive motion shall be extended to Tuesday, August 17, 2010. The current deadline of Tuesday, August 17 2010, for the hearing of dispositive motions shall be extended to Tuesday, August 31, 2010. The current deadline of Tuesday, August 17, 2010, to make initial expert disclosures shall be extended to Tuesday, September 7, 2010. The current deadline of Tuesday, August 31, 2010, to make Rebuttal expert disclosures shall be extended to Tuesday, September 21, 2010. The current deadline of Tuesday, September 14, 2010, to complete all expert discovery (expert discovery cut-off) shall be extended to Tuesday, October 5, 2010. The current deadline of Tuesday, September 21, 2010, to file Motions to compel nonexpert discovery (seven days after the expert discovery cut-off, as provided by Local Rule 26-2) shall be extended to Tuesday, October 12, 2010. This Stipulation relates solely to the extension of discovery deadlines and deadlines related to the filing and hearing of dispositive motions and pretrial submissions. No other specified dates or deadlines, including the Trial date, set forth in the court's Case Management and Pretrial Order for Jury Trial dated November 3, 2009, shall be changed or affected by this Order. Dated: June 7, 2010 SCHIFF HARDIN LLP By:________________________ BRUCE A. WAGMAN Attorneys for Plaintiff THERESA HUERTA -3FURTHER REVISED STIPULATION AND ORDER RE EXTENSION OF ALL DISCOVERY DEADLINES AND OTHER PRETRIAL DEADLINES Case3:09-cv-03130-EDL Document41 Filed06/07/10 Page4 of 7 1 2 3 Dated: June 7, 2010 Law Offices of KAPLAN & SAM By:__________________________ 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 Schiff Hardin LLP Attorneys At Law San Francisco BENJAMIN ELLIOT KAPLAN Attorneys for Defendants BALWANT S. DENHOY and SUKHWANT K. DENHOY, as individuals and as Trustees of THE DENHOY LIVING TRUST, d.b.a. WILLOW PASS MOBILE HOME PARK, and NITA DENHOY PURSUANT TO STIPULATION, IT IS SO ORDERED. 7 Dated: June ____, 2010 ______________________________ ELIZABETH D. LAPORTE United States Magistrate Judge -4FURTHER REVISED STIPULATION AND ORDER RE EXTENSION OF ALL DISCOVERY DEADLINES AND OTHER PRETRIAL DEADLINES

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