Gales v. Winco Foods et al
Filing
126
ORDER continuing Certain Trial related deadlines re 125 STIPULATION WITH PROPOSED ORDER CONTINUING CERTAIN TRIAL RELATED DEADLINES filed by Stephen Gales. Signed by Judge Charles R. Breyer on 5/25/2012. (beS, COURT STAFF) (Filed on 5/25/2012)
Case3:09-cv-05813-CRB Document125 Filed05/16/12 Page1 of 3
1
2
3
4
5
6
7
8
9
10
11
Daniel H. Qualls (Bar # 109036)
Robin G. Workman (Bar # 145810)
Aviva N. Roller (Bar # 245415)
QUALLS & WORKMAN, L.L.P.
177 Post Street, Suite 900
San Francisco, CA 94108
Telephone: (415) 782-3660
dan@qualls-workman.com
robin1@qualls-workman.com
aviva@qualls-workman.com
UNITED EMPLOYEES LAW GROUP
Walter Haines, Esq. (State Bar # 71075)
65 Pine Ave, #312
Long Beach, CA 90802
Telephone: (562) 256-1047
Facsimile: (562) 256-1006
Attorneys for Plaintiff Stephen Gales,
and all others similarly situated
12
13
14
UNITED STATES DISTRICT COURT
15
NORTHERN DISTRICT OF CALIFORNIA
16
17
18
19
20
21
22
23
STEPHEN GALES, on behalf of himself and all )
others similarly situated,
)
)
Plaintiff,
)
)
)
vs.
)
)
WINCO FOODS, WINCO FOODS, LLC
)
and Does 1 through 50, inclusive,
)
)
Defendants.
)
)
No. 3:09-cv-05813-CRB
STIPULATION AND ORDER
CONTINUING CERTAIN TRIAL
RELATED DEADLINES
24
25
WHEREAS the Court scheduled a trial in the within action to occur on October 29, 2012;
26
WHEREAS, based on the trial date, the statutory deadline to disclose expert witnesses is
27
28
current May 22, 2012;
WHEREAS, based on the trial date, the discovery cutoff is set for July 20, 2012;
STIP CONTINUING TRIAL RELATED DEADLINES
-1-
3184\PLEADINGS\CONTINUEDEADLINESSTIP.DOC
Case3:09-cv-05813-CRB Document125 Filed05/16/12 Page2 of 3
WHEREAS the parties participated in a first mediation with Court Appointed mediator
1
2
Eric Angstadt on April 30, 2012, and,
WHEREAS the parties have a further mediation scheduled on June 29, 2012, with private
3
4
mediator, Mark Rudy;
IT IS HEREBY AGREED AND STIPULATED, by and between the parties hereto, as
5
6
follows:
1)
7
8
2012; and,
2)
9
10
11
the deadline to disclose experts of May 22, 2012, is hereby continued to August 20,
the discover cut-off deadline of July 20, 2012, is hereby continued to August 20,
2012.
The continuation of these dates will allow the parties time to prepare and participate in the
12
mediation scheduled with Mark Rudy on June 29, 2012, while preserving these dates should the
13
mediation be unsuccessful.
14
15
This stipulation may be executed in counterparts and a fax or e-mail attachment signatures
shall be considered an original.
16
17
Date: May 16, 2012
QUALLS & WORKMAN, L.L.P.
18
19
/s/Robin G. Workman
Attorney for Plaintiff Stephen Gales
and all others similarly situated
20
21
22
Dated: May 16, 2012
SEYFARTH SHAW, LLP
23
24
/s/Alfred L. Sanderson, Jr.
Attorney for Defendant, WinCo Foods, LLC
25
26
27
28
STIP CONTINUING TRIAL RELATED DEADLINES
-2-
3184\PLEADINGS\CONTINUEDEADLINESSTIP.DOC
Case3:09-cv-05813-CRB Document125 Filed05/16/12 Page3 of 3
1
ORDER
2
Pursuant to the stipulation of the parties, and good cause appearing, IT IS HEREBY
3
ORDERED:
4
The parties’ request is hereby GRANTED as follows:
5
1)
2012; and,
2)
7
2012.
9
RT
15
J
ER
H
16
17
. Breyer
arles R
udge Ch
NO
14
R NIA
13
IT IS S
FO
12
_________________________
Honorable Charles R. Breyer
D
United States DistrictERE Judge
O ORD Court
UNIT
ED
Dated: ________________
May 25, 2012
S DISTRICT
TE
C
TA
RT
U
O
11
S
10
LI
8
the discover cut-off deadline of July 20, 2012, is hereby continued to August 20,
A
6
the deadline to disclose experts of May 22, 2012, is hereby continued to August 20,
N
F
D IS T IC T O
R
C
18
19
20
21
22
23
24
25
26
27
28
STIP CONTINUING TRIAL RELATED DEADLINES
-3-
3184\PLEADINGS\CONTINUEDEADLINESSTIP.DOC
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?