Language Line Services, Inc. v. Language Services Associates, LLC et al

Filing 211

ORDER re 210 Stipulation filed by Language Line Services, Inc., Bryan Lucas Discovery due by 4/19/2012. Motions due by 6/25/2012. Preliminary Pretrial Conference set for 3/19/2012 11:00 AM in Courtroom 9, 19th Floor, San Francisco before Hon. James Ware. Signed by Judge James Ware on 10/25/11. (sis, COURT STAFF) (Filed on 10/25/2011)

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4 5 N F DI NORTHERN DISTRICT OF CALIFORNIAS T R I C T O 9 14 15 16 17 LANGUAGE LINE SERVICES, INC., a Delaware corporation, CASE NO. CV 10-02605-JW Plaintiff, vs. LANGUAGE SERVICES ASSOCIATES, INC. [originally misnamed as LANGUAGE SERVICES ASSOCIATES, LLC], a Pennsylvania corporation; WILLIAM SCHWARTZ, an individual; and PATRICK CURTIN, an individual, [PROPOSED] ORDER RE: JOINT STIPULATION TO EXTEND TIME FOR DISCOVERY AND RELATED DATES Defendants. 18 19 LANGUAGE SERVICES ASSOCIATES, INC., a Pennsylvania corporation, 20 Counter-Claimant, 21 vs. 22 LANGUAGE LINE SERVICES, INC., a Delaware corporation, 23 24 25 C SAN FRANCISCO DIVISION 10 13 A H ER UNITED STATES DISTRICT COURT 8 LI RT 7 12 re mes Wa Judge Ja NO 6 11 DERED O OR IT IS S R NIA UNIT ED 3 S DISTRICT TE C TA RT U O S 2 FO 1 Counter-Defendant, and BRYAN LUCAS, an individual, Third Party-Defendant. 26 27 28 -1[PROPOSED] ORDER RE: STIPULATION TO EXTEND DISCOVERY CUTOFF – CV 10-02605-JW The Court, having considered the parties’ Stipulation to Extend Time for Discovery 1 2 and Related Dates, and good cause appearing therefore, rules as follows: 1. 3 4 The Close of All Discovery shall be extended to April 19, 2012 to allow the parties to complete discovery. 2. The last date for hearing dispositive motions shall be extended to June 25, 3. The Preliminary Pretrial Conference shall be moved to March 19, 2012 at 11:00 9 4. The Preliminary Pretrial Conference Statements shall be due on March 9, 2012. 10 5. Any party wishing to present expert witness testimony with respect to a claim 5 6 2012. 7 8 a.m. 11 or defense shall lodge with the Court and serve on all other parties the name, address, 12 qualifications, resume and a written report which complies with Fed. R. Civ. P. 26(a)(2)(B) on 13 February 16, 2012. 6. 14 If the testimony of the expert is intended solely to contradict or rebut opinion 15 testimony on the same subject matter identified by another party, the party proffering a rebuttal 16 expert shall make the disclosures required by Fed. R. Civ. P. 26(a)(2)(B) on or before March 1, 17 2012. 18 7. Any party objecting to the qualifications or proposed testimony of an expert 19 must file, serve and notice a motion to exclude the expert or any portion of the expert’s 20 testimony in writing in accordance with Civil Local Rule 7-2, for hearing no later than forty 21 two (42) days after both expert and rebuttal expert disclosures on a Monday at 9:00 a.m. 22 23 IT IS SO ORDERED. 24 25 26 27 DATED: October 25, 2011 The Honorable James Ware United States District Court 28 -2[PROPOSED] ORDER RE: STIPULATION TO EXTEND DISCOVERY CUTOFF – CV 10-02605-JW

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