Lassalle et al v. McNeilus Truck & Manufacturing, Inc. et al

Filing 55

ORDER granting 54 STIPULATION To EXTEND THE EXPERT DISCOVERY CUT OFF DATE. Dispositive Motions to be heard by 7/19/2017. Signed by Judge William H. Orrick on 05/23/2017. (jmdS, COURT STAFF) (Filed on 5/23/2017)

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1 2 3 4 5 6 Elizabeth V. McNulty (Bar No. 192455) emcnulty@talawfirm.com TAYLOR | ANDERSON LLP 19100 Von Karman Avenue, Suite 820 Irvine, California 92612 Tel. No.: (949) 390-6500 Fax No.: (949) 390-6510 Attorney for Defendant McNEILUS TRUCK AND MANUFACTURING, INC. 7 8 UNITED STATES DISTRICT COURT, NORTHERN DISTRICT OF 9 CALIFORNIA 10 LLP 19100 Von Karman A venu e, Suite 820 Irvine, California 92612 (949) 390-6500 TAYLOR | ANDERSON 11 12 13 JENNIFER LASSALLE; EMILY ANNE LASSALLE; MADELINE ELIZABETH LASSALLE, a minor and GRACE CAROLINE LASSALLE, a minor by and through their Guardian ad Litem ADOLPH ADRAGNA, JR., 14 17 18 STIPULATION AND ORDER TO EXTEND THE EXPERT DISCOVERY CUT OFF DATE Plaintiffs, 15 16 Case No. 3:16-cv-00766-WHO v. MCNEILUS TRUCK AND MANUFACTURING, INC., AUTOCAR, LLC; and Does 1 to 200, inclusive, Defendant. 19 Subject to the approval of this Court, the parties hereby stipulate to extend 20 21 the current deadlines as follows: 22 Deadline 23 Expert Deposition Completion May 20, 2017 24 Date 25 Dispositive Motions heard by July 2, 2017 July 26, 2017 26 Trial September 5, 2017 September 5, 2017 (no 27 28 Current Date Proposed Date June 16, 2017 change) The parties make this request because the parties need additional time to {00063194 } STIPULATION AND ORDER TO EXTEND THE EXPERT DEPOSITION COMPLETION DATE 1 2 3 4 complete expert depositions and evaluate expert testimony. All sides have pursued discovery diligently and continue to do so with three expert depositions taking place in the next few weeks. However, scheduling difficulties have necessitated additional time to complete expert depositions despite the parties’ best efforts. 5 6 7 8 9 The parties met and conferred and agreed that the extension of time is necessary. Premised upon these facts, as well as the fact there is sufficient time prior to the assigned trial date in this matter, the parties stipulate to and respectfully request that deadline to complete expert discovery to June 1, 2017, and the deadline to hear dispositive motions to July 19, 2017. 10 SO STIPULATED. LLP 19100 Von Karman A venu e, Suite 820 Irvine, California 92612 (949) 390- 6500 TAYLOR | ANDERSON 11 12 13 14 SO STIPULATED. Dated: /S/ Matthew D. Haley MATTHEW HALEY Attorney for Plaintiff 15 16 17 18 19 SO STIPULATED. Dated: ELIZABETH V. MCNULTY Attorney for Defendant 20 21 PURSANT TO STIPULATION, IT IS SO ORDERED as modified. The proposed 22 dates in the box are different than those in the final paragraph. The ones in the final 23 paragraph are acceptable, and the ones in the box are not. The expert discovery completion 24 25 26 27 28 {00063194 } -2STIPULATION AND ORDER TO EXTEND THE EXPERT DEPOSITION COMPLETION DATE 1 deadline is June 1, 2017, and the hearing on the motion for summary judgment shall be set 2 no later than July 19, 2017 at 2 p.m. 3 4 5 Dated: May 23, 2017 ____________________________________ HONORABLE WILLIAM H. ORRICK UNITED STATES DISTRICT JUDGE 6 7 8 9 10 LLP 19100 Von Karman A venu e, Suite 820 Irvine, California 92612 (949) 390- 6500 TAYLOR | ANDERSON 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 {00063194 } -3STIPULATION AND ORDER TO EXTEND THE EXPERT DEPOSITION COMPLETION DATE

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