Moore v. The United States of America

Filing 22

STIPULATION AND ORDER re: Expert Disclosures and Reports. Signed by Judge Samuel Conti on 7/5/11. (tdm, COURT STAFF) (Filed on 7/5/2011)

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BRODSKY MICKLOW BULL & WEISS LLP Eugene A. Brodsky, State Bar No. 36691 2 Edward M. Bull III, State Bar No. 141996 384 Embarcadero West, Suite 200 3 Oakland, California 94607-3704 Telephone: (510) 268-6180 4 Facsimile: (510) 268-6181 1 5 Attorneys for Plaintiff, Donna Deloise Moore 6 7 8 9 10 11 12 13 14 15 Tony West Assistant Attorney General Melinda L. Haag United States Attorney R. Michael Underhill Attorney in Charge, West Coast Office Torts Branch, Civil Division R. Scott Blaze Senior Admiralty Counsel Torts Branch, Civil Division U.S. Department of Justice P.O. Box 36028 450 Golden Gate Avenue, Room 7-5395 San Francisco, CA 94102-3463 Attorneys for Defendant United States of America 16 17 UNITED STATES DISTRICT COURT 18 NORTHERN DISTRICT OF CALIFORNIA 19 20 21 22 23 24 25 ) ) ) Plaintiff, ) ) vs. ) ) THE UNITED STATES OF AMERICA, ) in personam, CAPE HORN, its engines, ) ) tackle, apparel, furniture, etc., in rem ) ________________________ _________ ) DONNA DELOISE MOORE, CASE NO. CV 10-2193 SC AMENDED STIPULATION AND PROPOSED ORDER RE EXPERT DISCLOSURES AND REPORTS 26 27 DONNA DELOISE MOORE (“Plaintiff”) and THE UNITED STATES OF 28 Stipulation and Proposed Order Re Expert Disclosures and Reports Case No. CV10-2193 SC 1 1 AMERICA (“Defendant”) jointly submit this Stipulation and Proposed Order 2 Regarding Expert Disclosures and Reports as follows: 3 WHEREAS in its STATUS CONFERENCE ORDER of January 7, 2011, the 4 Court set this mater for a bench trial on September 6, 2011; and 5 WHEREAS the Court did not set dates for expert disclosures or the exchange of 6 expert reports in its January 7, 2011 Order; and 7 WHEREAS the parties want an exchange date approved by the Court; and 8 WHEREAS the parties want to await the completion of discovery prior to the 9 first disclosure of expert information and reports by the Plaintiff; 10 WHEREFORE The parties HEREBY STIPULATE and request that the Court 11 order that expert disclosures and reports be exchanged by the parties as follows: 12 By Plaintiff: July 15, 2011 13 By Defendant: August 5, 2011. 14 15 DATED: July 1, 2011 16 BRODSKY MICKLOW BULL & WEISS LLP By: /S/ Edward M. Bull III Edward M. Bull III 17 Attorneys for Plaintiff Donna Deloise Moore 18 19 20 21 DATED: July 1, 2011 U.S. Department of Justice Torts Branch, Civil Division 22 23 24 25 By: /S/ R. Scott Blaze R. Michael Underhill R. Scott Blaze Attorneys for Defendant United States of America 26 27 28 Stipulation and Proposed Order Re Expert Disclosures and Reports Case No. CV10-2193 SC 2 1 2 [PROPOSED] 3 ORDER 4 Having considered the stipulation of counsel, and good cause appearing in 5 support of their request, IT IS HEREBY ORDERED THAT expert disclosures and 6 reports be exchanged by the parties as follows: 7 By Plaintiff: July 15, 2011. 8 By Defendant: August 5, 2011. S ___________________________________ ED ORDER O IT IS S R NIA 7/5/11 UNIT ED 10 DATED: RT U O 9 ISTRIC ES D TC AT T 11 HON. SAMUEL CONTI 12 Judge S UNITED STATES DISTRICT JUDGE A H LI RT ER FO NO 13 onti amuel C N F D IS T IC T O R C 14 15 16 17 CERTIFICATE OF SIGNATURE I attest that the content of this document is acceptable to attorney, R. Scott 18 Blaze, and that he authorized me to sign the document on his behalf. 19 /s/ Edward M. Bull III 20 21 22 23 24 25 26 27 28 Stipulation and Proposed Order Re Expert Disclosures and Reports Case No. CV10-2193 SC 3

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