Ortega v. Rodenspiel et al
Filing
31
STIPULATION AND ORDER re 30 Stipulation Extending Time for Parties' Disclosures and Depositions of Experts filed by Joseph Alejandro Ortega. Signed by Judge Edward M. Chen on 2/8/12. (bpf, COURT STAFF) (Filed on 2/8/2012)
1
2
3
GEOFFREY ROTWEIN (CA SBN 58176)
LAW OFFICES OF GEOFFREY ROTWEIN
400 Montgomery Street, Second Floor
San Francisco, California 94104
Telefacsimile: (415) 397-0862
Telephone: (415) 397-0860
4
5
Attorney for Plaintiff
JOSEPH ALEJANDRO ORTEGA
6
7
8
UNITED STATES DISTRICT COURT
9
NORTHERN DISTRICT OF CALIFORNIA
10
JOSEPH ALEJANDRO ORTEGA,
11
12
13
Plaintiff,
vs.
KURT RODENSPIEL, et al,
14
Defendants.
)
)
)
)
)
)
)
)
)
)
No.
CV 10-3239 EMC
STIPULATION FOR ORDER
EXTENDING TIME FOR
EXPERT DISCLOSURES
AND DEPOSITIONS
ORDER
15
16
STIPULATION
17
The parties hereby represent to the Court and stipulate as follows:
18
In the Court’s Second Amended Case Management Scheduling Order, filed and dated
19
January 11, 2012 (Docket No. 29), this Court set February 10 and 24, 2012, for the parties to
20
disclose experts and rebuttal experts, respectively, and the cutoff for expert depositions for March
21
16, 2012. At the Case Management Conference on January 11, 2012, the Court indicated that the
22
parties could change discovery dates so long as it did not alter hearing, filing and other dates set by
23
the Court.
24
Due to the late production on January 26, 2012 of approximately 5,000 pages of
25
documents by defendant San Mateo Police Department, plaintiff’s firearms expert needs additional
26
time to review these documents in order to prepare and finalize his expert report required by Rule
27
26 of the Federal Rules of Civil Procedure. The late production of these documents was
28
mentioned by plaintiff in the parties’ Joint Case Management Conference Statement filed
S TIP U L ATIO N AN D O R D ER EX TEND IN G D ATES
F O R D ISC LO SIN G AN D D EP O SIN G EX P ER TS
N o. C V-10-3239 EM C
-1-
1
2
December 30, 2011 (Docket No. 27).
The parties have met and conferred regarding an extension of the dates governing expert
3
disclosures and depositions, and have agreed to a two week extension to the following new dates:
4
the initial and rebuttal expert disclosures will be February 24 and March 9, 2012, respectively, and
5
the cutoff for expert depositions will be March 30, 2012.
6
These new discovery dates do not effect the filing or hearing dates set by the Court for
7
motions, hearings, pretrial conference and trial.
8
DATED: February 7, 2012
9
/s/ Geoffrey Rotwein
GEOFFREY ROTWEIN
Attorney for Plaintiff
JOSEPH ALEJANDRO ORTEGA
10
/s/ Patrick R. Co
PATRICK R. CO
Attorney for Defendants
KURT RODENSPIEL, CITY OF
SAN MATEO, SAN MATEO POLICE DEPARTMENT
11
12
13
14
15
ORDER
Pursuant to the above Stipulation by and between the parties, and good appearing therefor:
17
IT IS HEREBY ORDERED that a two week extension is granted for the parties to
18
disclose their initial and rebuttal experts and to complete depositions of experts, as follows: initial
19
and rebuttal expert disclosures will be February 24 and March 9, 2012, respectively, and the cutoff
20
for expert depositions will be March 30, 2012. All other dates set by the Court will remain
21
unchanged.
22
DATED: February 8 , 2012
ER
28
S TIP U L ATIO N AN D O R D ER EX TEND IN G D ATES
F O R D ISC LO SIN G AN D D EP O SIN G EX P ER TS
N o. C V-10-3239 EM C
-2-
A
H
27
R NIA
dwa
Judge E
FO
RT
26
hen
rd M. C
NO
25
HON. EDWARD M. CHEN
MAGISTRATE/JUDGE DERED
R
UNITED STATESO O
IT IS S DISTRICT COURT
LI
24
UNIT
ED
DISTRICT
S DISTRICT
TE
C
TA
RT
U
O
23
S
16
N
F
D IS T IC T O
R
C
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?