Walls v. Central Contra Costa Transit Authority

Filing 28

STIPULATION AND ORDER REGARDING NON-EXPERT DISCOVERY DEADLINE re 27 Stipulation filed by Central Contra Costa Transit Authority. Signed by Judge Phyllis J. Hamilton on 1/26/10. (nah, COURT STAFF) (Filed on 1/26/2010)

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1 2 3 NEYHART, ANDERSON, FLYNN & GROSBOLL WILLIAM J. FLYNN - 95371 BENJAMIN K. LUNCH - 246015 4 5 blunch@neyhartlaw.com 44 Montgomery Street, Suite 2080 San Francisco, CA 94104 Telephone: (415) 677-9440 Facsimile: (415) 677-9445 Attorneys for Plaintiff KERRY 6 7 8 WALLS HANSON BRIDGED LLP PATRICK M. GLENN - 141604 pg len n@hansonbridgett.com MOLLY A. LEE - 232477 m lee@hansonbridgett.com 9 10 11 425 Market Street, 26th Floor San Francisco, CA 94105 Telephone: (415) 777-3200 Facsimile: (415) 541-9366 12 13 Attorneys for Defendant CENTRAL CONTRA COSTA TRANSIT AUTHORITY UNITED STATES DISTRICT COURT 14 15. FOR THE NORTHERN DISTRICT OF CALIFORNIA 16 17 KERRY WALLS, 18 19 v. No. C08-0224 PJH Plaintiff, STIPULATION AND (PROPOSED) ORDER REGARDING NON-EXPERT DISCOVERY DEADLINE 20 21 CENTRAL CONTRA COSTA TRANSIT AUTHORITY, Defendant. Action Filed: Trial Date: July 7,2008 August 9, 2010 22 23 It is hereby stipulated, by and between the parties hereto through their counsel of 24 record, that the non-expert discovery deadline of February 10,2010 be continued by two 25 days to February 12, 2010. 26 Plaintiff noticed the deposition of Defendant's employee for January 27, 2010; 27 however, the deposition had to be moved because of scheduling conflicts. The parties 28 . were unable to reschedule the deposition immediately because the deponent was not -1- STIP. AND (PROP.) ORDER EXTENDING NON-EXPERT DISCOVERY DEADLINE (CASE #C08-0224 PJH) 2198045.1 1 reporting to work due to illness. When defense counsel was able to contact the . 2 deponent, the earliest date on which all parties were available was two days after the 3 non-expert discovery deadline. 4 For these reasons, the parties have stipulated to extend the non-expert discovery 5 deadline by two days and request the Court's approval pursuant to paragraph E of the 6 Court's Case Management and Pretrial Order, dated September 15, 2009. 7 DATED: January 20,2010 8 HANSON BRIDGED LLP 9 By: lsI Molly A. Lee 10 11 MOLLY A. LEE Attorneys for Defendant Central Contra Costa Transit Authority 12 13 DATED: Januaryl:Q,2010 NEYHART, ANDERSON, FLYNN & GROSBOLL 14 15 16 17 18 Attorneys for Plaintiff Kerry Walls ~~N~ ~ UNIT ED IT IS SO ORDERED: 19 20 21 DATED: January 26 S S DISTRICT TE C TA ,2010 24 ER N 25 26 F D IS T IC T O R 27 28 - 2STIP. AND (PROP.) ORDER EXTENDING NON-EXPERT DISCOVERY DEADLINE (CASE #C08-0224 PJH) 2198045.1 A C LI 23 FO 22 lton J. Hami Phyllis J dge HONORABLEuPHYLLIS J. HAMILTON United States District Judge R NIA O ORD IT IS S ERED RT U O NO RT H

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