Equal Employment Opportunity Commission v. Crime Scene Cleaners, Inc.
Filing
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ORDER by Magistrate Judge Maria-Elena James granting 23 Stipulation to extend close of discovery only. (rmm2S, COURT STAFF) (Filed on 8/6/2012)
1 WILLIAM R. TAMAYO -- #084965 (CA)
MARCIA L. MITCHELL - #18122 (WA)
2 DAVID F. OFFEN-BROWN – #063321 (CA)
EQUAL EMPLOYMENT OPPORTUNITY COMMISSION
3 San Francisco District Office
350 The Embarcadero, Suite 500
4 San Francisco, California 94105-1260
Telephone: (415) 625-5652
5 Facsimile: (415) 625-5657
David.Offen-Brown@eeoc.gov
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Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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11 U.S. EQUAL EMPLOYMENT
OPPORTUNITY COMMISSION,
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Plaintiff,
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vs.
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CRIME SCENE CLEANERS, INC.
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Respondent.
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Case No. CV-11-04269 MEJ
STIPULATED REQUEST FOR ORDER
CHANGING TIME OF THE CLOSE OF
DISCOVERY ONLY; [PROPOSED]
ORDER
/
Plaintiff EQUAL EMPLOYMENT OPPORTUNITY COMMISSION ( EEOC) and
18 Defendant CRIME SCENE CLEANERS, INC. stipulate to the extension of only twenty days of
19 only the discovery cutoff for this case. The EEOC continues to be unable to locate a key
20 witness, Shawn Clark, the parties could use this extra time to attempt to resolve outstanding
21 discovery disputes, and this extra time will facilitate settlement negotiations.
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The current discovery cut-off is August 31, 2012. See Docket 17. The parties request it
23 be extended to September 20, 2012. The other case dates, which are set forth below, would be
24 unchanged. There has been one previous Order changing time, Docket 17.
25 CURRENT DATES
26 Fact and Expert Discovery cut-off:
Aug. 31, 2012
27 Deadline file Dispositive Motions:
Sept. 13, 2012
28 Dispositive Motions Heard:
October 18, 2012
1
STIPULATED REQUEST FOR ORDER CHANGING TIME
CV-11-04269 MEJ
1 Counsel confer by:
January 2, 2013
2 Pretrial Stm. & MILs due:
January 15, 2013
3 MIL Opp. due:
January 22, 2013
4 Trial briefs, voir dire, jury instructions due:
Jan. 29, 2013
5 Pretrial Conference:
January 31, 2013
6 Final Pretrial Conference:
February 28, 2013
7 Trial (five days):
March 4, 2013
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I, David F. Offen-Brown, declare under penalty of perjury that the EEOC has not located
9 Shawn Clark despite diligent efforts to do so and certify that I have obtained the concurrence of
10 Eric Angstadt, counsel for Defendant, in this Stipulation and that this Stipulation appear signed
11 by him.
12 DATED August 1, 2012
/s/ David F. Offen-Brown
Counsel for Plaintiff, EEOC
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14 DATED August 1, 2012
/s/ Eric Angstadt
Counsel for Defendant,
Crime Scene Cleaners, Inc.
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18 PURSUANT TO STIPULATION, IT IS SO ORDERED .
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August 6, 2012
20 DATED: _________________
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______________________________________
Maria-Elena James
Chief United States Magistrate Judge
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STIPULATED REQUEST FOR ORDER CHANGING TIME
CV-11-04269 MEJ
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