Flores v. Target Corporation

Filing 46

ORDER Granting 45 Stipulation to Continue. This case is set for Jury Trial on the stacked calendar on 4/6/2020, at 9:00 a.m. Calendar call will be held on 4/1/2020, at 1:30p.m. Signed by Judge James C. Mahan on 1/14/2020. (Copies have been distributed pursuant to the NEF - JQC)

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Case 2:16-cv-01543-JCM-DJA Document 45 Filed 01/10/20 Page 1 of 2 1 2 3 4 5 ALAN W. WESTBROOK, ESQ. Nevada Bar No. 006167 Perry & Westbrook, A Professional Corporation 1701 W. Charleston Boulevard #200 Las Vegas, Nevada 89102 Telephone: (702) 870-2400 Facsimile: (702) 870-8220 E-Mail: awestbrook@perrywestbrook.com Attorneys for Defendant 6 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 7 8 9 JOSE VILLA FLORES, CASE NO. 2:16-cv-01543-JCM-DJA Plaintiff, 10 STIPULATION FOR CONTINUANCE OF TRIAL DATE (First Request) 11 vs. 12 TARGET CORPORATION, DOES 1 through 10 inclusive; ROE CORPORATIONS 11 through 20 inclusive, 13 Defendants. 14 15 16 The above named parties, by and through their respective counsel of records, hereby 17 submit the following STIPULATION FOR CONTINUANCE OF TRIAL DATE (First Request). 18 Pursuant to LR IA 6-1 This is the first stipulation to continue the trial date of the above 19 captioned matter. 20 I. 21 Recently, it has come to the attention of counsel that Defendant’s sole medical expert 22 witness has unexpectedly become unavailable during the time currently set for trial of this matter. 23 Further, despite Defendant’s preference for live testimony, efforts have been made to schedule 24 a trial deposition to preserve this experts testimony for trial, however, such a deposition cannot 25 be scheduled prior to the trial date. Reasons for Extension 26 As this witness is the only witness that Defendant will be able to present to counter the 27 medical damages claim being asserted by Plaintiff, the parties have agreed to seek a short 28 continuance of the trial to assure live testimony, or at a minimum, be able to preserve the Page 1 of 2 Case 2:16-cv-01543-JCM-DJA Document 45 Filed 01/10/20 Page 2 of 2 1 2 3 testimony through trial deposition. As such, the parties request that the trial currently scheduled to begin on January 27, 2020, be continued to the soonest available date for the Court beyond February 28, 2020. 4 5 DATED this _10____ day of January, 2020. DATED this _10__ day of January, 2020. 6 HARRIS & HARRIS PERRY& WESTBROOK, a Professional Corporation By: _/s/ Brian Harris Brian Harris, Esq. Nevada Bar No. 7737 2029 Alta Drive Las Vegas, Nevada 89106 bharris@harrislawyers.net Attorneys for Plaintiff By: /s/ Alan W. Westbrook_______ ALAN W. WESTBROOK, ESQ. Nevada Bar No. 006167 1701 W. Charleston Boulevard #200 Las Vegas, Nevada 89102 Awestbrook@perrywestbrook.com Attorneys for Defendant 7 8 9 10 11 12 13 This case is set for Jury Trial on the fixed stacked calendar on 14 April 6, 2020, at 9:00 a.m. _____________________________. Calendar call will be held on 15 April 1, 2020, at 1:30 p.m. ____________________________. 16 17 IT IS SO ORDERED. 18 January 14, day of Dated this ________2020. ___________, 2020. 19 20 21 _____________________________________________ UNITED STATES DISTRICT JUDGE 22 23 24 25 26 27 28 Page 2 of 2

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