A.C. v. City of Santa Clara et al

Filing 72

ORDER by Judge Haywood S. Gilliam, Jr. Granting 71 Stipulation FURTHER EXTENDING EXPERT DISCLOSURE AND DISCOVERY DEADLINES. (ndrS, COURT STAFF) (Filed on 4/24/2015)

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1 2 3 4 5 6 Rebecca S. Widen, SBN 219207 HAAPALA, THOMPSON & ABERN, LLP 1939 Harrison Street, Suite 800 Oakland, California 94612 Tel: 510-763-2324 Fax: 510-273-8534 E-mail: rwiden@htalaw.com Attorneys for Defendants CITY OF SANTA CLARA, MIKE HORN, NATHAN CRESCINI, JOSH HIGGINS, FRANK HAGG and TROY CARDIN 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA – SAN FRANCISCO 10 Attorneys At Law Park Plaza Building 1939 Harrison St., Suite 800 Oakland, California 94612 Telephone: 510-763-2324 Facsimile: 510-273-8534 Haapala, Thompson & Abern LLP 11 12 13 14 15 16 17 18 19 20 21 22 A. C., a minor, by and through his Guardian Ad Litem, MARK CALHOUN, ) ) ) Plaintiff, ) ) vs. ) ) CITY OF SANTA CLARA, a municipal ) corporation; MIKE HORN, individually and in ) his official capacities as a police officer for the ) CITY OF SANTA CLARA Police Department; ) NATHAN CRESCINI, individually and in his ) official capacities as a police officer for the ) CITY OF SANTA CLARA Police Department; ) JOSH HIGGINS, individually and in his official ) capacities as a police officer for the CITY OF ) SANTA CLARA Police Department; FRANK ) HAGG, individually and in his official capacities ) as a police officer for the CITY OF SANTA ) CLARA Police Department; TROY CARDIN; ) individually and in his official capacities as a ) police officer for the CITY OF SANTA CLARA ) Police Department; and DOES 1-50, inclusive,, ) ) Defendant. ) ) Case No.: C13-3276 HSG (NC) STIPULATION AND ORDER FURTHER EXTENDING EXPERT DISCLOSURE AND DISCOVERY DEADLINES 23 24 The parties hereto, by and through their respective counsel, hereby stipulate and request 25 that the expert disclosure and expert discovery deadlines be extended by approximately two 26 weeks, as set forth below. The remainder of the case schedule, including the trial date, is not 27 affected by the requested extension. 28 The reason for the requested extension is that Plaintiff Austin Calhoun advised today 1 A. C., a minor, v. City of Santa Clara, et al.,/Case #C13-3276 HSG (NC) Stipulation And [Proposed] Order Further Extending Expert Disclosure and Discovery Deadlines 1 that he has had a conflict arise which prevents him from attending his currently scheduled 2 Rule 35 examination on April 28, 2015 with neuropsychologist Ronald Ruff, PhD. Today is the 3 last day to cancel the examination without incurring a cancellation fee from Dr. Ruff. 4 Dr. Ruff’s next available appointment is May 14, 2015, which is only two business days 5 before the current deadline for disclosure of expert reports. As Dr. Ruff requires more than two 6 business days to prepare his report, the parties have agreed to extend the current deadlines for 7 expert report disclosure, rebuttal report disclosure and expert discovery by two weeks, so that 8 the examination may proceed on May 14, 2015. 9 10 Attorneys At Law Park Plaza Building 1939 Harrison St., Suite 800 Oakland, California 94612 Telephone: 510-763-2324 Facsimile: 510-273-8534 Haapala, Thompson & Abern LLP 11 This is the third extension of the case schedule requested by the parties in this case. The parties have agreed upon, and hereby request the Court to adopt, the following new case schedule: 12 TRIAL DATE: 9/8/2015, at 8:30 a.m. (same) 13 FINAL PRETRIAL CONFERENCE: 8/11/2015, at 3:00 p.m. (same) 14 DISPOSITIVE MOTIONS: Last day to be heard 7/2/2015, at 2:00 p.m. See Civil Local Rules for notice and filing requirements (same) NON-EXPERT DISCOVERY CUT-OFF: 4/7/2015 (same) EXPERT REPORTS: Opening reports by 6/5/15 Rebuttal reports by 6/19/15 EXPERT DISCOVERY CUT-OFF: 7/8/2015 15 16 17 18 19 20 IT IS SO STIPULATED. 21 Dated: April 23, 2015 22 LAW OFFICES OF JOHN L. BURRIS By: 23 24 */s/ DeWitt M. Lacy DeWitt M. Lacy Attorneys for Plaintiffs *Mr. Lacy provided his consent that this document be electronically filed 25 Dated: April 23, 2015 HAAPALA, THOMPSON & ABERN, LLP 26 27 28 By: /s/ Rebecca S. Widen Rebecca S. Widen Attorneys for Defendants 2 A. C., a minor, v. City of Santa Clara, et al.,/Case #C13-3276 HSG (NC) Stipulation And [Proposed] Order Further Extending Expert Disclosure and Discovery Deadlines 1 ORDER 2 The Court having considered the parties’ stipulation, and good cause appearing, IT IS 3 HEREBY ORDERED that the current case schedule be extended as requested. The new case 4 schedule shall be as follows: 5 TRIAL DATE: 9/8/2015, at 8:30 a.m. 6 FINAL PRETRIAL CONFERENCE: 8/11/2015, at 3:00 p.m. 7 DISPOSITIVE MOTIONS: Last day to be heard 7/2/2015, at 2:00 p.m. See Civil Local Rules for notice and filing requirements NON-EXPERT DISCOVERY CUT-OFF: 4/7/2015 EXPERT REPORTS: Opening reports by 6/5/15 Rebuttal reports by 6/19/15 EXPERT DISCOVERY CUT-OFF: 7/8/2015 8 9 10 Attorneys At Law Park Plaza Building 1939 Harrison St., Suite 800 Oakland, California 94612 Telephone: 510-763-2324 Facsimile: 510-273-8534 Haapala, Thompson & Abern LLP 11 12 13 Dated: April 24, 2015 14 15 Hon. Haywood S. Gilliam, Jr. United States District Judge 16 17 18 19 20 21 22 23 24 25 26 27 28 3 A. C., a minor, v. City of Santa Clara, et al.,/Case #C13-3276 HSG (NC) Stipulation And [Proposed] Order Further Extending Expert Disclosure and Discovery Deadlines

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