Williams v. Experian Information Solutions, Inc. et al

Filing 20

ORDER granting 18 Discovery Plan and Scheduling Order. Discovery due by 11/18/2024. Motions due by 12/18/2024. Proposed Joint Pretrial Order due by 1/17/2025. Signed by Magistrate Judge Nancy J. Koppe on 7/8/2024. (Copies have been distributed pursuant to the NEF - CAH)

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1 2 3 4 5 6 7 8 George Haines, Esq. Nevada Bar No. 9411 Gerardo Avalos, Esq. Nevada Bar No. 15171 FREEDOM LAW FIRM, LLC 8985 South Eastern Ave., Suite 100 Las Vegas, NV 89123 Phone: (702) 880-5554 FAX: (702) 385-5518 Email: info@freedomlegalteam.com Attorneys for Plaintiff Anthony Williams 9 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 10 11 12 Anthony Williams, 13 14 15 16 17 18 19 Case No.: 2:24-cv-00530 Plaintiff, v. Discovery Plan and Scheduling Order Submitted in Compliance with LR 26-1(b) Experian Information Solutions, Inc.; National Consumer Telecom & Utilities Exchange, Inc.; Clarity Services, Inc. and Ocwen Loan Servicing, LLC, Defendants. 20 21 22 On May 20, 2024, National Consumer Telecom & Utilities Exchange, Inc. 23 appeared in this case and the Court set a deadline to file a proposed discovery plan 24 25 26 and scheduling order by July 4, 2024. Accordingly, Anthony Williams and National Consumer Telecom & Utilities Exchange, Inc. (collectively as the “Parties”), by and 27 28 -1Discovery Plan and Scheduling Order 1 through their respective counsel, hereby submit this Joint Discovery Plan and 2 Scheduling Order. The parties will require 180 days of discovery measured from the 3 date that National Consumer Telecom & Utilities Exchange, Inc. filed its answer to 4 5 6 7 8 9 10 11 12 13 Plaintiff's complaint. DISCOVERY PLAN The parties propose the following discovery plan and scheduling order: 1. Initial disclosures ………………... 2. Amend pleadings and add parties .. 3. Expert disclosures (initial): ……… 4. Expert disclosures (rebuttal): ……. 5. Discovery cutoff date: …………… 6. Dispositive motions: …………….. 7. Pretrial order …………………….. July 19, 2024 August 19, 2024 September 17, 2024 October 17, 2024 November 18, 2024 December 18, 2024 January 17, 2025 14 In the event that dispositive motions are filed, the date for filing the joint 15 pretrial order shall be suspended until 30 days after decision on the dispositive 16 17 18 19 motions or until further order of the court. Pretrial Disclosures: The disclosures required by Rule 26(a)(3), and any objections thereto, shall be included in the joint pretrial order. 20 21 Extensions or Modifications of the Discovery Plan and Scheduling Order: 22 Applications to extend any date set by the discovery plan, scheduling order, or other 23 order must comply with the Local Rules. 24 25 26 Protective Order: The parties may seek to enter a stipulated protective order pursuant to Rule 26(c) prior to producing any confidential documents. 27 28 -2Discovery Plan and Scheduling Order 1 Electronic Service: The parties agree that pursuant to Rules 5(b)(2)(E) and 2 6(d) of the Federal Rules of Civil Procedure any pleadings or other papers may be 3 served by sending such documents by email. 4 5 Alternative Dispute Resolution Certification: The parties certify that they met 6 and conferred about the possibility of using alternative dispute-resolution processes 7 including mediation, arbitration, and early neutral evaluation. The parties have not 8 9 10 11 reached any stipulations at this stage. Alternative Forms of Case Disposition Certification: The parties certify that they considered consent to trial by a magistrate judge under 28 U.S.C. § 636(c) and 12 13 Fed. R. Civ. P. 73 and the use of the Short Trial Program (General Order 2013-01). 14 The parties have not reached any stipulations at this stage. 15 16 Electronically Stored Information: The parties have discussed the retention 17 and production of electronic data. The parties agree that service of discovery by 18 electronic means, including sending original electronic files by email or on a cd is 19 20 sufficient. The parties reserve the right to revisit this issue if a dispute or need arises. 21 Electronic evidence conference certification: The parties further intend to 22 present evidence in electronic format to jurors for the purposes of jury deliberations 23 24 25 26 at trial. The parties discussed the presentation of evidence for juror deliberations but did not reach any stipulations as to the method as this early stage. Dated: July 3, 2024. 27 28 -3Discovery Plan and Scheduling Order 1 FREEDOM LAW FIRM 2 /s/ Gerardo Avalos George Haines, Esq. Gerardo Avalos, Esq. 8985 South Eastern Ave., Suite 100 Las Vegas, NV 89123 Counsel for Plaintiff Alfredo Puno 3 4 5 6 7 CLARK HILL, PLLC 8 9 10 11 12 /s/ Gia N. Marina Gia N. Marina, Esq. 1700 South Pavilion Center Dr., Suite 500 Las Vegas, Nevada 89135 Counsel for National Consumer Telecom & Utilities Exchange, Inc. 13 14 15 16 17 18 SCHEDULING ORDER The above-set stipulated Discovery Plan of the parties shall be the Scheduling Order for this action pursuant to Federal Rule of Civil Procedure 16(b) and Local Rule 16-1. 19 20 IT IS SO ORDERED: 21 ___________________________________ 22 23 UNITED STATES MAGISTRATE JUDGE July 8, 2024 DATED: ___________________________ 24 25 26 27 28 -4Discovery Plan and Scheduling Order

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