Thompson et al v. United States Postal Service et al

Filing 59

STIPULATION AND ORDER re 58 STIPULATION WITH PROPOSED ORDER Regarding Order Staying Action filed by UNITED STATES OF AMERICA. Signed by Judge Jon S. Tigar on October 28, 2013. (wsn, COURT STAFF) (Filed on 10/28/2013)

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1 GREGORY S. WALSTON, ESQ. ORESTES A. CROSS, ESQ. 2 THOMAS J. O'BRIEN, ESQ. WALSTON CROSS 3 735 Montgomery Street, Suite 250 San Francisco, CA 94111 4 (415) 956-9200 Fax: (415) 956-9205 5 Email: gwalston@walstonlaw.com ocross@walstonlaw.com tobrien@walstonlaw.com 6 ATTORNEYS FOR PLAINTIFFS 7 JERRY THOMPSON and AILEEN KREWSON 8 MELINDA HAAG (SBN 132612) United States Attorney 9 ALEX G. TSE (SBN 152348) Chief, Civil Division 10 JONATHAN U. LEE (SBN 148792) Assistant United States Attorney 11 450 Golden Gate Ave., 9th Floor San Francisco, CA 94102-3495 12 Telephone: (415)436-6909 Facsimile: (415)436-6748 13 Email: jonathan.lee@usdoj.gov Attorneys for Defendant 14 UNITED STATES OF AMERICA 15 UNITED STATES DISTRICT COURT 16 NORTHERN DISTRICT OF CALIFORNIA 17 SAN FRANCISCO DIVISION 18 AILEEN KREWSON, Case No. 19 STIPULATION AND (PROPOSED) ORDER REGARDING ORDER STAYING ACTION Plaintiff, 20 21 C 12-00301 JST v. 22 UNITED STATES OF AMERICA, 23 Trial Date: Defendant. 24 2/10/2014 25 26 27 BY AND THROUGH THEIR COUNSEL OF RECORD, THE PARTIES STIPULATE AS FOLLOWS: 28 -1STIPULATION AND PROPOSED ORDER - CASE NO. C12-00301 JST 1 2 1. On October 11, 2013, the Court issued the Order Staying Action. (Dkt. No. 55) 2. Pursuant to the Court’s instructions in the Order Staying Action, the stay lifted on October 18, 3 2013, the date of restoration of funding to the Department of Justice. Therefore, the parties 4 5 understand that the stay was in effect from October 1-18, 2013, or 18 days. 3. 6 disclosure of experts and expert discovery be extended by 18 days, as follows: 7 1 (A) Disclosure of Experts is now due by 11/19/2013 (the previously ordered date is 11/1/13) 8 (B) Rebuttal disclosure is now due by 11/26/2013 (the previously ordered date is 11/8/13) 9 10 As a result of the parties’ understanding, the parties request that the deadlines regarding (C) Expert Discovery due by 12/17/2013 4. 11 The parties do not request any extension of any other case management schedule date or deadline. The date for the Final Pretrial Conference will continue to be 1/16/2014 at 02:00 12 PM. The date for the Bench Trial will continue to be 2/10/2014 at 08:30 AM. 13 IT IS SO STIPULATED. 14 15 Dated: October 25, 2013 UNITED STATES ATTORNEY 16 By: 17 18 /s/ MELINDA HAAG JOANN M. SWANSON JONATHAN U. LEE Attorneys for Defendant . 19 Dated: October 25, 2013 WALSTON CROSS 20 /s/ GREGORY S. WALSTON, ESQ. ORESTES A. CROSS, ESQ. THOMAS J. O'BRIEN, ESQ. Attorneys for Plaintiff 21 22 23 24 25 26 27 28 1 All previously ordered dates appear in Dkt. No. 22, dated 9/6/12. -2STIPULATION AND PROPOSED ORDER - CASE NO. C12-00301 JST . 1 (PROPOSED) ORDER 2 3 PURSUANT TO STIPULATION, IT IS SO ORDERED. 4 The case management dates are as follows: 5 Disclosure of Experts is now due by 11/19/2013 6 Rebuttal disclosure is now due by 11/26/2013 7 Expert Discovery due by 12/17/2013. 8 Final Pretrial Conference will continue to be 1/16/2014 at 02:00 PM 9 10 Bench Trial will continue to be 2/10/2014 at 08:30 AM. 11 12 October 28, 2013 13 ___________________________________ Hon. JON S. TIGAR UNITED STATES DISTRICT JUDGE 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -3STIPULATION AND PROPOSED ORDER - CASE NO. C12-00301 JST

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