Food & Water Watch, Inc. et al v. Environmental Protection Agency et al
Filing
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STIPULATION AND ORDER re: discovery schedule. Discovery due by 11/21/2018.. Signed by Judge Edward M. Chen on 5/15/18. (bpfS, COURT STAFF) (Filed on 5/15/2018)
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IN THE UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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STIPULATION ON DISCOVERY
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Case No.: 17-cv-02162-EMC
FOOD & WATER WATCH, INC, et al.,
Plaintiffs,
v.
SCHEDULE
U.S. ENVIRONMENTAL PROTECTION
AGENCY, et al.,
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Defendants.
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In accordance with the Court’s April 19, 2018 Order (ECF No. 57), the undersigned
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counsel of record respectfully submit the following stipulation regarding the discovery
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deadlines in this case:
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Close of fact discovery: November 21, 2018.
Parties’ (Pls. & Defs.) Opening Expert Reports – January 24, 2019
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Parties’ (Pls. & Defs.) Rebuttal Expert Reports - February 21, 2019
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Close of Expert Discovery: March 14, 2019 (subject to reasonable
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accommodations that would not prejudice either party’s motion for summary
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judgment).
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Dated: May 10, 2018
Respectfully submitted,
/s/ Michael Connett
MICHAEL CONNETT
CHRIS NIDEL
Food & Water Watch
1814 Franklin St., Suite 1100
Oakland, CA 94612
Tel: (510) 922-0720
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CASE NO. 17-CV-02162-EMC
STIPULATION ON DISCOVERY SCHEDULE
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Attorneys for Plaintiffs
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JEFFREY H. WOOD
Acting Assistant Attorney General
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/s/ Debra Carfora
(by permission)
DEBRA CARFORA
Environmental Defense Section
601 D Street, NW, Suite 8000
Washington, DC 20004
Tel: (202) 616-7568
Email: Debra.Carfora@usdoj.gov
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Attorneys for Defendants
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CASE NO. 17-CV-02162-EMC
STIPULATION ON DISCOVERY SCHEDULE
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[PROPOSED] ORDER
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Before the Court is the parties’ Stipulation on Discovery Schedule And
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[Proposed] Order. Upon due consideration, and for good cause shown, the parties’
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request is hereby GRANTED. It is further ORDERED that the discovery deadlines in
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this case are as follows:
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Close of fact discovery: November 21, 2018.
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Parties’ (Pls. & Defs.) Opening Expert Reports – January 24, 2019
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Parties’ (Pls. & Defs.) Rebuttal Expert Reports - February 21, 2019
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Close of Expert Discovery: March 14, 2019 (subject to reasonable
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accommodations that would not prejudice either party’s motion for summary
judgment).
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PURSUANT TO STIPULATION IT IS SO ORDERED.
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15th
May
DATED this ______ day of ________________, 2018.
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dwa
Judge E
ER
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A
H
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FO
RT
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hen
rd M. C
NO
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LI
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O
IT IS S
R NIA
S
________________________________
EDWARD M. CHEN
United States District RDERED
O Court Judge
UNIT
ED
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RT
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S DISTRICT
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D IS T IC T O
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CASE NO. 17-CV-02162-EMC
STIPULATION ON DISCOVERY SCHEDULE
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CERTIFICATE OF SERVICE
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I hereby certify that a true and correct copy of the foregoing was served by Notice
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of Electronic Filing this 10th day of May, 2018, upon all ECF registered counsel of
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record using the Court’s CM/ECF system.
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/s/ Michael Connett
MICHAEL CONNETT
Attorney for Plaintiffs
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CASE NO. 17-CV-02162-EMC
STIPULATION ON DISCOVERY SCHEDULE
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