Fu v. Walker Parking Consultants

Filing 30

STIPULATION AND ORDER TO EXTEND CERTAIN DISCOVERY DEADLINES re 29 Stipulation filed by Walker Parking Consultants. Signed by Judge James Ware on 6/6/11. (sis, COURT STAFF) (Filed on 6/6/2011)

Download PDF
7 8 9 10 11 ER FO LI Attorneys for Defendant WALKER PARKING CONSULTANTS A H 6 m Judge Ja RT 5 es Ware NO 4 D RDERE OO IT IS S R NIA S 3 UNIT ED 2 Seyfarth Shaw LLP Michael J. Burns (SBN 172614) mburns@seyfarth.com Eden Anderson (SBN 233464) eanderson@seyfarth.com 560 Mission Street, Suite 3100 San Francisco, California 94105 Telephone: (415) 397-2823 Facsimile: (415) 397-8549 RT U O 1 S DISTRICT TE C TA N Law Offices of Daniel Feder Daniel Feder (SBN 130867) Oleg Albert (SBN 251270) 332 Pine Street, Suite 700 San Francisco, California 94104 Telephone: (415) 391-9476 Facsimile: (415) 391-9432 F D IS T IC T O R C Attorneys for Plaintiff NINA FU 12 13 UNITED STATES DISTRICT COURT 14 IN AND FOR THE NORTHERN DISTRICT OF CALIFORNIA 15 16 NINA FU, an individual, 17 Plaintiff, 18 v. 19 20 Case No. C09-05056 JW STIPULATION TO EXTEND CERTAIN DISCOVERY DEADLINES AND [PROPOSED] ORDER THEREON WALKER PARKING CONSULTANTS, a Michigan corporation licensed to do business in the State of California; and DOES 1-100, inclusive, 21 Defendants. 22 23 The Parties to the above entitled action, Walker Parking Consultants (“Defendant”) and Nina 24 Fu (“Plaintiff”) (collectively referred to as the “Parties”), by and through their undersigned counsel, 25 hereby stipulate and agree as follows: 26 1. WHEREAS, the trial in this matter was recently continued to October 18, 2011; 27 2. WHEREAS, the existing expert witness disclosure deadline is June 14, 2011; Fu v. Walking Parking Consultants Case No. C09-05056 JW 1 Stipulation to Extend Certain Discovery Deadlines and [Proposed] Order Thereon 1 3. WHEREAS, the existing expert discovery cutoff is July 18, 2011; and 2 4. WHEREAS, the non-expert discovery cutoff was February 11, 2011. 3 NOW THEREFORE, all Parties hereto stipulate and agree that the Court may enter an Order 4 continuing these discovery deadlines as follows: 5 (a) The expert witness disclosure deadline is August 15, 2011. 6 (b) The expert discovery deadline is September 19, 2011. 7 (c ) Plaintiff may depose Risé Landeros, a non-expert witness, by September 19, 2011. 8 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 9 10 Dated: June 1, 2011 Law Offices of Daniel Feder 11 12 /s/ Oleg Albert OLEG ALBERT Attorneys for Plaintiff NINA FU 13 14 15 16 Dated: June 1, 2011 SEYFARTH SHAW LLP 17 /s/ Eden Anderson EDEN ANDERSON Attorneys for Defendant WALKER PARKING CONSULTANTS 18 19 20 [PROPOSED] ORDER 21 IT IS SO ORDERED. 22 23 Dated: June 6, 2011 ____________________________ Hon. James Ware United States District Judge 24 25 26 27 Fu v. Walking Parking Consultants Case No. C09-05056 JW 2 Stipulation to Extend Certain Discovery Deadlines and [Proposed] Order Thereon

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?