Holmes v. United States of America
Filing
28
AMENDED STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINES re 27 Stipulation filed by United States of America. Signed by Judge Phyllis J. Hamilton on 12/10/09. (nah, COURT STAFF) (Filed on 12/11/2009)
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BAUM & BLAKE DAVID B. BAUM (State Bar No. 28506) MARTIN BLAKE (State Bar No. 98021) One Sansome Street, Suite 3500 San Francisco, California 94104 Telephone: 415-956-5544 Facsimile: 415-956-5547 E-Mail: dbb@baumblake.com Attorneys for Plaintiff
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISION
MONICA HOLMES, Plaintiff, vs. UNITED STATES OF AMERICA, . Defendant.
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CASE NO. 08-05619 PJH AMENDED STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER
1. Pursuant to the Court's April 13, 2009 Case Management and Pretrial Order, the deadlines for expert and fact discovery, and dispositive motions are as follows: Expert Disclosure: December 2, 2009 Rebuttal Expert Disclosure: December 23, 2009 Expert Discovery Cut-off: January 27, 2010 Non-Expert Discovery Cut-off: January 27, 2010 Dispositive Motions to be Heard by: March 24, 2010 2. Plaintiff's counsel has requested an extension of the deadlines for fact and expert discovery to permit additional discovery and due to his calendar in December and January. 3. Accordingly, the parties, by and through their counsel of record, stipulate that the deadlines for fact and expert discovery be extended as follows:
_____________________________________________________________________________________________ AMENDED STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER 08-05619 PJH
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Expert Disclosure: January 6, 2010 Rebuttal Expert Disclosure: January 27, 2010 Expert Discovery Cut-off: March 3, 2010 Non-Expert Discovery Cut-off: March 3, 2010 4. The parties do not anticipate that the extended discovery deadlines will affect the trial date. The trial date is currently set for July 26, 2010.
IT IS SO STIPULATED.
Respectfully submitted, 12/7/09 BAUM & BLAKE
BY:
/s/ David B. Baum DAVID B. BAUM Attorneys for Plaintiff
12/7/09
JOSEPH P. RUSSONIELLO United States Attorney
BY:
/s/ Jennifer S Wang JENNIFER S WANG Assistant United States Attorney Attorneys for Defendant
_____________________________________________________________________________________________ AMENDED STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER 08-05619 PJH
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1 2 3 4 5 6 7 8 9 10 DATED: 12/10/09 [PROPOSED] ORDER Pursuant to the parties' stipulation and good cause having been shown, it is ordered that: 1. The deadline for expert disclosure is extended to January 6, 2010. 2. The deadline for rebuttal expert disclosure is extended to January 27, 2010. 3. The expert discovery cut-off date is extended to March 3, 2010. 4. The non-expert discovery cut-off date is extended to March 3, 2010. IT IS SO ORDERED.
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_____________________________________________________________________________________________ AMENDED STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER 08-05619 PJH
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PHYLLIS J. HAMILTONRDER OO IT IS S UNITED STATES DISTRICT COURT JUDGE
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