Buckman-Falduti et al v. Kindercare Learning Centers, Inc.

Filing 66

ORDER re 65 granting STIPULATION TO EXTEND THE TIME FOR EXPERT DEPOSITIONS; MOTIONS TO COMPEL EXPERT DISCOVERY; AND HEARING ON MOTION FOR SUMMARY JUDGMENT; Further Case Management Conference set for 7/15/2010 02:00 PM. Motion Hearing set for 7/15/2010 02:00 PM.. Signed by Judge Claudia Wilken on 03/25/2010. (scc, COURT STAFF) (Filed on 3/25/2010)

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1 Stephen J. Estey (Bar No. 163093) 2 R Michael Bomberger (Bar No. 169866) 3 ESTEY & BOMBERGER, LLP 4 San Diego, CA 92103 2869 India Street mike@estey-bomberger.com steve@estey-bomberger.com 5 Facsimile: (619) 295-0172 7 2217 Galveston Street San Diego CA 92110 Telephone: (619) 295-0035 6 Donald J. Beck (Bar No. 70108) Law Office of Donald J. Beck 8 Phone (619) 990-2524 9 Attorneys for Plaintiffs 10 11 12 14 15 17 18 19 20 21 vs. INC., a Delaware corporation, UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA THERESA BUCKMAN- FALDUTI, an Plaintiffs, ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No.: C 08-04778 CW STIPULATION AND ORDER TO EXTEND THE TIME FOR EXPERT DEPOSITIONS; MOTIONS TO COMPEL EXPERT DISCOVERY; AND HEARING ON MOTION FOR SUMMARY JUDGMENT; DECLARATION OF STEPHEN J. ESTEY IN SUPPORT THEREOF Judge: Hon. Claudia Wilkin Dept: Courtroom 2, 4th Floor 13 individual; TODD FALDUTI, an individual, 16 KINDERCARE LEARNING CENTERS, Defendant. Pursuant to Local Rules 6-2 and 7-12, Defendant KINDERCARE LEARNING 22 CENTERS, INC. ("KinderCare") and Plaintiffs THERESA BUCKMAN-FALDUTI and TODD 23 FALDUTI (collectively, the "Parties") stipulate to extend: 24 25 26 27 28 STPULATION & ORDER TO EXTEND EXPERT DEPOSITION, MOTION TO COMPEL EXPERT DISCOVERY, HEARING ON MOTION FOR SUMMARY JUDGMENT AND TRIAL DATE; DECLARATION OF STEPHEN J. ESTEY (1) The time to complete the depositions of Todd Falduti and the following fact witnesses: Amber Bushaw, Susan Berry, and Dr. Juan Vargas from Wednesday, April 14, 2010 to Wednesday, July 14, 2010; (2) The time to file and serve motions to compel fact discovery from Friday, 1 Case No.: C 08-04778 CW 1 2 3 4 5 6 7 8 9 10 12 14 15 16 17 18 19 (6) (5) (4) (3) April 23, 2010 to Wednesday, July 21, 2010; The time to complete retained and non-retained expert depositions from Wednesday, April 14, 2010 to Wednesday, July 14, 2010; The time to file and serve motions to compel retained and non-retained expert discovery from Friday, April 23, 2010 to Wednesday, July 21, 2010; The hearing date on defendant's Motion for Summary Judgment (and related briefing deadlines) from Thursday, April 15, 2010 to Thursday, July 15, 2010; and The Case Management Conference from Thursday, April 15, 2010 to Thursday, July 15, 2010. 11 for the reasons stated in the Declaration of Stephen J. Estey attached hereto as Exhibit "A". The parties stipulate that it is not necessary to continue the November 9, 2010 Final 13 Pretrial Conference and the November 29, 2010 trial date at this time. IT IS SO STIPULATED. DATED: March 17, 2010 SEYFARTH SHAW LLP By: /s/ Giovanna A. Ferrari Jay W. Connolly Giovanna A. Ferrari Attorneys for Defendant KINDERCARE LEARNING CENTERS, INC. ESTEY &BOMBERGER, LLP By: /s/ Stephen J. Estey Stephen Estey Michael Bomberger Attorneys for Plaintiffs THERESA BUCKMAN-FALDUTI AND TODD FALDUTI 20 DATED: March 17, 20010 21 22 23 24 26 28 STPULATION & ORDER TO EXTEND EXPERT DEPOSITION, MOTION TO COMPEL EXPERT DISCOVERY, HEARING ON MOTION FOR SUMMARY JUDGMENT AND TRIAL DATE; DECLARATION OF STEPHEN J. ESTEY 25 PURSUANT TO STIPULATION, IT IS SO ORDERED. 27 __________________________________ Dated: 3/25/10 _____________ Hon. Judge Claudia Wilken 2 Case No.: C 08-04778 CW

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