Stevenson et al v. City and County of San Francisco et al
Filing
177
ORDER ON STIPULATION RE: SCHEDULING. The trial date is scheduled for June 6, 2016, at 9:00 a.m., and the Pretrial Conference is scheduled for May 24, 2016, at 10:00 a.m. The parties must complete the depositions of their designated damages experts no later than 30 days before trial. Signed by Judge Maxine M. Chesney on February 10, 2016. (mmclc1, COURT STAFF) (Filed on 2/10/2016)
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MURLENE J. RANDLE, State Bar #98124
R. WILLIAM REED, of counsel, State Bar #261931
LAW OFFICES OF MURLENE J. RANDLE
235 Montgomery Street, Suite 716
San Francisco, CA 94104
Telephone:
(415) 352-0189
Facsimile:
(415) 352-0187
E-Mail:
murlene@randlelawoffices.com
will@randlelawoffices.com
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Attorneys for the Plaintiffs
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DENNIS J. HERRERA, State Bar #139669
City Attorney
ELIZABETH S SALVESON, State Bar #83788
Chief Labor Attorney
JONATHAN ROLNICK, State Bar #151814
Deputy City Attorney
Fox Plaza
1390 Market Street, Fifth Floor
San Francisco, California 94102-5408
Telephone:
(415) 554-3815
Facsimile:
(415) 554-4248
E-Mail:
jonathan.rolnick@sfgov.org
Attorneys for Defendants
CITY AND COUNTY OF SAN FRANCISCO, et al.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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AARON C. STEVENSON, KEVIN D.
TAYLOR, KEVIN W. SMITH, AUDRY LEE,
and KIRK W. RICHARDSON,
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Plaintiffs,
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vs.
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Case No. CV 11-4950 MMC
STIPULATION RE SCHEDULING OF: (1)
PROPOSED NEW TRIAL DATES AND (2)
PROPOSED DEADLINE FOR THE
COMPLETION OF THE DEPOSITIONS OF
THE PARTIES’ DAMAGES EXPERTS; AND
[PROPOSED] ORDER
THE CITY AND COUNTY OF SAN
FRANCISCO, THE SAN FRANCISCO FIRE
DEPARTMENT, THE SAN FRANCISCO
FIRE COMMISSION, and THE CIVIL
SERVICE COMMISSION OF SAN
FRANCISCO,
Defendants.
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STIP. RE PROPOSED DATES
CASE NO. CV 11-4950 MMC
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IT IS HEREBY STIPULATED by and between the parties, pursuant to Civil Local Rules 712 and 16-2(d), that the parties mutually propose the following: (1) trial on either of the following
dates: June 6, 2016, November 7, 2016 or December 5, 2016; and (2) that depositions of their
designated damages experts, Dr. Phillip Allman and Mr. Mark Cohen, are to be completed no later
than 30 days before trial.
Dated: February 5, 2016
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DENNIS J. HERRERA
City Attorney
ELIZABETH S. SALVESON
Chief Labor Attorney
JONATHAN ROLNICK
Deputy City Attorney
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By:
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/S/
JONATHAN ROLNICK
Attorneys for Defendants
CITY AND COUNTY OF SAN FRANCISCO,
ET AL
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Dated: February 5, 2016
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LAW OFFICES OF MURLENE J. RANDLE
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By:
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/S/
MURLENE J. RANDLE
Attorney for Plaintiffs
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I, Murlene J. Randle, attest that concurrence in the filing of this document has been obtained
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from Jonathan Rolnick.
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STIP. RE PROPOSED DATES
CASE NO. CV 11-4950 MMC
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[PROPOSED] ORDER
Pursuant to stipulation, and good cause having been found, the Court hereby grants the parties’
administrative motion for relief as follows:
(1) The trial date in this matter is scheduled for:
June 6, 2016,
November 7, 2016
December 5, 2016
(2) The parties must complete the depositions of their designated damages experts, Dr. Phillip
Allman and Mr. Mark Cohen, no later than 30 days before trial.
(3) The Pretrial Conference is scheduled for May 24, 2016, at 10:00 a.m.
PURSUANT TO STIPULATION, IT IS SO ORDERED
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Date: February 10 , 2016
The Honorable Maxine M. Chesney
United States District Court Judge
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STIP. RE PROPOSED DATES
CASE NO. CV 11-4950 MMC
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