Sullivan et al v. City of San Rafael et al

Filing 49

ORDER by Magistrate Judge Maria-Elena James granting 47 Stipulation (rmm2S, COURT STAFF) (Filed on 4/23/2013)

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1 2 3 4 5 6 7 Thomas F. Bertrand, SBN 056560 Richard W. Osman, SBN 167993 BERTRAND, FOX & ELLIOT 2749 Hyde Street San Francisco, Ca 94109 Telephone: (415) 353-0999 Facsimile: (415) 353-0990 Email: rosman@bfesf.com Attorneys for Defendants CITY OF SAN RAFAEL, RYAN DEMARTA and RYAN COGBILL Brian K. Gearinger, SBN 146125 GEARINGER LAW GROUP 825 Van Ness Ave., 4th Floor San Francisco, CA 94109 Telephone: (415) 440-3175 Facsimile: (415) 440-3103 Email: brian@gearingerlaw.com Attorneys for Plaintiffs GREGORY L. SULLIVAN and KOJI FUJITA 8 9 10 11 12 13 14 James D. Rush, SBN 240284 LAW OFFICES OF JAMES D. RUSH, APC 7665 Redwood Boulevard, Suite 200 Novato, CA 94945 Telephone: (415) 897-4801 Facsimile: (415) 897-5316 Attorney for Plaintiffs GREGORY L. SULLIVAN and KOJI FUJITA 15 UNITED STATES DISTRICT COURT 16 NORTHERN DISTRICT OF CALIFORNIA 17 18 19 20 GREGORY L. SULLIVAN and KOJI FUJITA, Plaintiffs, v. 21 22 23 24 25 26 27 28 CITY OF SAN RAFAEL, a government entity; SAN RAFAEL POLICE DEPARTMENT, a government entity; RYAN DEMARTA, individually, and in his capacity as police officer for the CITY OF SAN RAFAEL; RYAN COGBILL, individually, and in his capacity as police officer for the CITY OF SAN RAFAEL; and DOES 1 to 100, Case No.: CV 12-01922 MEJ STIPULATION AND [PROPOSED] ORDER TO CONTINUE DATES FOR EXPERT DISCLOSURES AND DISCLOSURES OF REBUTTAL EXPERTS Defendants. STIPULATION AND [PROPOSED] ORDER TO CONTINUE DATES FOR EXPERT DISCLOSURES AND DISCLOSURES OF REBUTTAL EXPERTS Sullivan v. City of San Rafael, et al. U.S.D.C. Northern District of CA Case No. CV-12-01922 MEJ 1 RECITALS 2 1. 3 March 29, 2013 Expert Disclosure date be continued to April 23, 2013, and the April 8, 2013 Rebuttal 4 Expert Disclosure date be continued to May 3, 2013. [Dkt. No.42.] 5 2. The parties, by and through their respective counsel, previously stipulated and requested that the Based on the Stipulation of March 22, 2013, on March 25, 2013 the Court ordered that the 6 7 8 Expert Disclosure date be continued from March 29, 2013 to April 23, 2013 and the Rebuttal Expert date be continued from April 8, 2013 to May 3, 2013. [Dkt. No.43.] STIPULATION 9 10 3. The parties, by and through their respective counsel, hereby stipulate and request that the 11 12 presently-scheduled April 23, 2013 Expert Disclosure date be continued to May 7, 2013, and the 13 May 3, 2013 Rebuttal Expert Disclosure date be continued to May 17, 2013. 14 4. 15 review and potentially include information from these depositions in their FRCP Rule 26 16 reports. One deposition is still pending on April 9, 2013 and the parties’ experts need time to review all 17 Multiple depositions have been taken in the last week and the parties intend to have their experts of the deposition transcripts prior to expert disclosures. Moving the expert disclosure dates will 18 accommodate this. Continuing the Expert Disclosure date and the Rebuttal Expert date will not affect 19 20 21 22 any other dates in this case. SO STIPULATED. Dated: April 4, 2013 By: /s/ Richard W. Osman Richard W. Osman Attorneys for Defendants 23 24 25 26 27 28 BERTRAND, FOX AND ELLIOT Dated: April 4, 2013 LAW OFFICE OF JAMES D. RUSH By: /s/ James D. Rush James D. Rush 1 STIPULATION AND [PROPOSED] ORDER TO CONTINUE DATES FOR EXPERT DISCLOSURES AND DISCLOSURES OF REBUTTAL EXPERTS Sullivan v. City of San Rafael, et al. U.S.D.C. Northern District of CA Case No. CV-12-01922 MEJ Attorneys for Plaintiffs 1 2 3 Dated: April 4, 2013 GEARINGER LAW GROUP By: /s/ Brian K. Gearinger Brian K. Gearinger Attorneys for Plaintiffs 4 5 6 [PROPOSED] ORDER 7 8 9 10 11 Having reviewed the stipulation of counsel herein, IT IS HEREBY ORDERED that the Expert Disclosure date is continued from April 23, 2013 to May 7, 2013 and the Rebuttal Expert date is continued from May 3, 2013 to May 17, 2013. IT IS SO ORDERED. 12 13 14 April 23, 2013 DATED: ____________________ ___________________________________ HONORABLE MARIA-ELENA JAMES UNITED STATES MAGISTRATE JUDGE 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2 STIPULATION AND [PROPOSED] ORDER TO CONTINUE DATES FOR EXPERT DISCLOSURES AND DISCLOSURES OF REBUTTAL EXPERTS Sullivan v. City of San Rafael, et al. U.S.D.C. Northern District of CA Case No. CV-12-01922 MEJ

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