Umar v. Storlie

Filing 38

STIPULATION AND ORDER re 37 Extending Fact Discovery Deadline. Fact Discovery Cutoff is 2/10/2014. Signed by Magistrate Judge Howard R. Lloyd on 2/5/2014. (hrllc1, COURT STAFF) (Filed on 2/5/2014)

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*E-Filed: February 5, 2014* 1 2 3 4 5 6 7 RICHARD DOYLE, City Attorney (88625) NORA FRIMANN, Assistant City Attorney (93249) CHRIS NIELSEN, Chief Deputy City Attorney (87972) SHANNON SMYTH-MENDOZA, Senior Deputy City Attorney (188509) Office of the City Attorney 200 East Santa Clara Street, 16th Floor San Jose, California 95113-1905 Telephone Number: (408) 535-1900 Facsimile Number: (408) 998-3131 E-Mail Address: cao.rnain@sanjoseca.gov Attorneys for CRAIG STORLIE; individually and as an Officer of the SAN JOSE POLICE DEPARTMENT 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 SAN JOSE DIVISION 11 Plaintiff, 12 v. 13 14 15 Case Number: CV12-6071 HRL AMMIR UMAR, CRAIG STORLIE, INDIVIDUALLY AND AS AN OFFICER OF THE SAN JOSE POLICE DEPARTMENT, and DOES 1-20, inclusive, STIPULATION; AND [PROPOSED] ORDER EXTENDING FACT DISCOVERY DEADLINE Trial Date: None Set 16 Defendants. 17 18 Plaintiff Ammir Umar ("Plaintiff") and Defendant Craig Storlie ("Defendant") in the 19 above-entitled matter hereby stipulate and jointly request that the Court grant an Order to 20 extend the fact discovery deadline in this matter from February 03, 2014 through and including 21 February 10, 2014. 22 23 24 25 26 27 In support of this stipulation, the parties hereby submit the following as good cause for granting this request: 1. Due to various scheduling issues of counsel and the current unavailability of two witness by the current deadline of February 3, 2014; and 2. Given that the postponement of the deadline to complete fact discovery would not delay any other deadlines in this matter set by the Court (no trial has been set) and for 28 STIPULATION; AND [PROPOSED] ORDER EXTENDING FACT DISCOVERY DEADLINE Case Number: CV12-6071 HRL 1055997 1 the reasons set forth herein, the parties submit that good cause exists for the extension of 2 the deadline to complete fact discovery. 3 Accordingly, the parties hereby jointly request that the Court extend the deadline for 4 fact discovery from February 03, 2014 through and including February 10, 2014. All other 5 deadlines setforth in the Case Management Order filed on October 21, 2013 shall remain 6 unchanged. 7 IT IS SO STIPULATED: 8 9 DATED: February 03, 2014 RICHARD DOYLE, City Attorney 10 By: /s/ Shannon Smvth-Mendoza SHANNON SMYTH-MENDOZA Senior Deputy City Attorney 11 12 Attorneys for Defendant CRAIG STORLIE individually and as an Officer of the SAN JOSE POLICE DEPARTMENT 13 14 15 DATED: LAW OFFICES OF MORALES & LEANOS February 03, 2014 16 By: /s/Jairne A. Leanos JAIME A. LEAN OS 17 18 Attorneys for Plaintiff AMMIR UMAR 19 20 ORDER 21 Based upon the Stipulation of the parties, and good cause appearing, the Court hereby 22 Orders that the fact discovery date shall be extended through and including February 10, 23 2014. 24 25 26 IT IS SO ORDERED. Dated: _______________________ February 5, 2014 HONORABLE HOWARD R. LLOYD UNITED STATES DISTRICT COURT 27 28 2 STIPULATION; AND [PROPOSED] ORDER EXTENDING FACT DISCOVERY DEADLINE Case Number: CV12-6071 HRL 1055997

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