Fu v. Walker Parking Consultants
Filing
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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)
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ER
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Attorneys for Defendant
WALKER PARKING CONSULTANTS
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Judge Ja
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es Ware
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RDERE
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IT IS S
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UNIT
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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
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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
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Attorneys for Plaintiff
NINA FU
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UNITED STATES DISTRICT COURT
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IN AND FOR THE NORTHERN DISTRICT OF CALIFORNIA
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NINA FU, an individual,
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Plaintiff,
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v.
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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,
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Defendants.
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The Parties to the above entitled action, Walker Parking Consultants (“Defendant”) and Nina
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Fu (“Plaintiff”) (collectively referred to as the “Parties”), by and through their undersigned counsel,
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hereby stipulate and agree as follows:
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1.
WHEREAS, the trial in this matter was recently continued to October 18, 2011;
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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
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3.
WHEREAS, the existing expert discovery cutoff is July 18, 2011; and
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WHEREAS, the non-expert discovery cutoff was February 11, 2011.
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NOW THEREFORE, all Parties hereto stipulate and agree that the Court may enter an Order
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continuing these discovery deadlines as follows:
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(a)
The expert witness disclosure deadline is August 15, 2011.
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(b)
The expert discovery deadline is September 19, 2011.
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(c )
Plaintiff may depose Risé Landeros, a non-expert witness, by September 19,
2011.
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IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
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Dated: June 1, 2011
Law Offices of Daniel Feder
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/s/ Oleg Albert
OLEG ALBERT
Attorneys for Plaintiff
NINA FU
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Dated: June 1, 2011
SEYFARTH SHAW LLP
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/s/ Eden Anderson
EDEN ANDERSON
Attorneys for Defendant
WALKER PARKING CONSULTANTS
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[PROPOSED] ORDER
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IT IS SO ORDERED.
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Dated:
June 6, 2011
____________________________
Hon. James Ware
United States District Judge
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Fu v. Walking Parking Consultants
Case No. C09-05056 JW
2
Stipulation to Extend Certain Discovery
Deadlines and [Proposed] Order Thereon
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