Vigdor et al v. Super Lucky Casino, Inc. et al

Filing 64

ORDER by Judge Haywood S. Gilliam, Jr. Granting 63 Stipulation re CASE SCHEDULE. Second Amended Complaint by 8/8/2017; Close of Fact Discovery due by 1/30/2018; Designation of Experts due by 2/23/2018; Designation of Rebuttal Experts d ue by 3/23/2018; Close of Expert Discovery due by 4/18/2018; Dispositive Motion due by 5/18/2018; Responses due by 6/1/2018; Replies due by 6/8/2018; Motion Hearing set for 6/28/2018 02:00 PM before Hon. Haywood S. Gilliam Jr.; Motions in Limine due by 8/14/2018; Final Pretrial Conference set for 9/4/2018 03:00 PM; Jury Selection /Jury Trial set for 9/17/2018 08:30 AM before Hon. Haywood S. Gilliam Jr. (ndrS, COURT STAFF) (Filed on 8/4/2017)

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6 SANFORD L. MICHELMAN (SBN 179702) smichelman@mrllp.com MARC R. JACOBS (SBN 185924) mjacobs@mrllp.com MATTHEW F. MURRAY (SBN 313277) mmurray@mrllp.com MICHELMAN & ROBINSON, LLP 10880 Wilshire Blvd., 19th Floor Los Angeles, CA 90024 Telephone: (310) 564-2670 Facsimile: (310) 564-2671 7 Attorneys for Plaintiffs DAN VIGDOR; STEPHEN BRADWAY 1 2 3 4 5 8 9 10 11 12 13 KEKER, VAN NEST & PETERS LLP BENEDICT Y. HUR - #224018 bhur@kvn.com JULIA L. ALLEN - # 286097 JAllen@kvn.com 633 Batter Street San Francisco, CA 94111-1809 Telephone: 415 3915400 Facsimile: 415 397 7188 14 15 Attorney for Defendants SUPER LUCKY CASINO, INC. and NICHOLAS TALARICO 16 UNITED STATES DISTRICT COURT 17 FOR THE NORTHERN DISTRICT OF CALIFORNIA 18 19 20 21 22 DAN VIGDOR, an individual; STEPHEN BRADWAY, an individual, Plaintiffs, v. 23 24 25 SUPER LUCKY CASINO INC., a California corporation (formerly known as 12 GIGS, INC.); NICHOLAS TALARICO, an individual; DOES 1-50, inclusive, 26 27 28 Case No.: 16-cv-05326-HSG [PROPOSED] STIPULATED CASE SCHEDULE Date: August 1, 2017 Time: 2:00 p.m. Dept.: Courtroom 10 Judge: Hon. Haywood S. Gilliam, Jr. Date Filed: September 1, 2016 Trial Date: None Set Defendants. The undersigned parties to this action, by and through their undersigned counsel, hereby agree and stipulate as follows: WHEREAS, the parties, including Plaintiffs Dan Vigdor and Stephen 1 STIPULATED PROPOSED CASE SCHEDULE 4833-8282-5548 1 Bradway (“Plaintiffs”), and Defendant Super Lucky Casino Inc. (“Defendant” and together with 2 Plaintiffs, collectively referred to as the “Parties”), appeared before the Court for the Case 3 Management Conference on August 1, 2017; 4 5 WHEREAS, now having had the opportunity to further meet and confer following the guidance from the Court; 6 IT IS HEREBY AGREED AND STIPULATED BY THE PARTIES that, subject to the 7 Court’s agreement or setting of alternative dates consistent with the Court’s calendar, the following 8 case schedule shall govern: 9 10 11 Event Deadline 12 File Second Amended Complaint August 8, 2017 13 Exchange Initial Disclosures August 15, 2017 14 Last Day to Amend Pleadings November 30, 2017 15 ADR Deadline December 15, 2017 16 Close of Fact Discovery January 30, 2018 Disclosure of Expert Witnesses and Exchange of February 23, 2018 Expert Reports Disclosure of Rebuttal Expert Witnesses and March 23, 2018 Exchange of Rebuttal Expert Reports 17 18 19 20 21 22 23 24 25 26 27 28 Close of Expert Discovery April 18, 2018 Dispositive Motions Filing Deadline May 18, 2018 Oppositions to Dispositive Motions Filing June 1, 2018 Deadline Replies In Support of Dispositive Motions Filing June 8, 2018 Deadline Dispositive Motion Hearing Date Exchange Witness Lists and Citations to Evidence June 28, 2018 at 2:00 p.m. August 8, 2018 Motions in Limine Filing Deadline August 14, 2018 Joint Pretrial Statement and Proposed Order, August 21, 2018 Proposed Jury Instructions, Voir Dire Questions, Verdict Forms, Statement of the Case, Trial 2 STIPULATED PROPOSED CASE SCHEDULE 4833-8282-5548 2 Briefs, and Oppositions to Motions and Limine Filing Deadline Pretrial Conference 3 Trial 1 September 4, 2018 at 3:00 p.m. September 18, 2018 at 8:30 a.m. 4 5 6 IT IS SO STIPULATED BY: 7 8 9 Dated: August 3, 2017 MICHELMAN & ROBINSON LLP By /Marc Jacobs/ Sanford L. Michelman Marc R. Jacobs Matthew F. Murray Attorneys for Plaintiffs 10 11 12 . 13 14 Dated: August 3, 2017 KEKER, VAN NEST & PETERS LLP 15 By /Ben Hur/ Benedict Y. Hur Julia L. Allen Attorneys for Defendants 16 17 . 18 [PROPOSED] ORDER 19 20 Pursuant to stipulation, and according to the Court’s availability, the foregoing proposed 21 case schedule is hereby ordered.except the jury trial will begin on Monday, September 17, 2018 at 8:30 a.m. 22 PURSUANT TO STIPULATION, IT IS SO ORDERED. 23 24 Dated: ____________________ August 4, 2017 25 26 ________________________________ ________________________________ _____ _ ____ ________ _ _ _____ _ ____ _ _ _ 27 HON. JUDGE HAYWOOD S. GILLIAM, JR. N S GILLIAM JR 28 3 STIPULATED PROPOSED CASE SCHEDULE 4833-8282-5548

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