Walker v. Charter Communications Inc. et al

Filing 271

ORDER granting ECF No. 270 Stipulation as follows:1. The deadline for Charter to respond to Plaintiff's Motion for New Trial is continued from February 4, 2020, to a date ten (10) court days after service of all trial transcripts f rom the official reporter;2. The deadline for Plaintiff to reply in support of Plaintiff's Motion for New Trial is continued to a date ten (10) court days after Charter's deadline to respond. Signed by Judge Robert C. Jones on 1/30/2020. (Copies have been distributed pursuant to the NEF - AB)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 LAW OFFICE OF JEFFREY D. FULTON Jeffrey D. Fulton, pro hac vice 2150 River Plaza Drive, Suite 260 Sacramento, CA 95833 Telephone: (916) 993-4900 Facsimile: (916) 441-5575 Email: JFulton@JFultonLaw.com WEINTRAUB TOBIN Brendan J. Begley, pro hac vice 400 Capitol Mall, 11thFloor Sacramento, CA 95814 Telephone: (916) 558-6000 Facsimile: (916) 446-1611 Email: bbegley@weintraub.com Attorneys for Plaintiff TERRANCE WALKER MORGAN, LEWIS & BOCKIUS LLP Ingrid A. Myers, Bar No. 6755 imyers@morganlewis.com Christopher J. Banks, pro hac vice christopher.banks@morganlewis.com Kathryn T. McGuigan, pro hac vice kmcguigan@morganlewis.com Joseph D. Hadacek, pro hac vice joseph.hadacek@morganlewis.com 300 South Grand Avenue Twenty-Second Floor Los Angeles, CA 90071-3132 Tel: +1.213.612.2500 Fax: +1.213.612.2501 Attorneys for Defendant CHARTER COMMUNICATIONS LLC UNITED STATES DISTRICT COURT DISTRICT OF NEVADA TERRANCE WALKER, an individual, Case No. 3:15-cv-00556-RCJ-CBC 22 Plaintiff, 23 vs. 24 25 26 CHARTER COMMUNICATIONS INC., and CHARTER COMMUNICATIONS LLC, 27 ORDER GRANTING JOINT STIPULATION TO AMEND THE PARTIES’ BRIEFING SCHEDULE RE PLAINTIFF’S MOTION FOR A NEW TRIAL [ECF 267] Defendants. 28 MORGAN, LEWIS & BOCKIUS LLP ATTORNEYS AT LAW LOS ANGELES DB2/ 38175319.1 JOINT STIP RE BRIEFING SCHEDULE FOR MOTION FOR NEW TRIAL 3:15-CV-00556-RCJ-CBC Plaintiff Terrance Walker (“Plaintiff”) and Defendant Charter 1 2 Communications, LLC (“Charter”) (collectively, “the Parties”), by and through 3 their respective counsel of record, hereby STIPULATE that GOOD CAUSE exists 4 to request that the Court amend the Parties’ briefing schedule and continue the 5 related deadlines pertaining to Plaintiff’s Motion for a New Trial Under Federal 6 Rule of Civil Procedure 59 and for Relief from Judgment Under Federal Rule of 7 Civil Procedure 60(b)(3) [Dkt. No. 267], for the following reasons: WHEREAS, on January 7, 2020, Charter ordered all trial transcripts from 8 9 10 Margaret E. Griener, CCR 33, FCRR, Official Reporter, U.S. District Court, Reno, Nevada 89501; WHEREAS, several of the transcripts ordered by the parties in this matter 11 12 were made available on January 14 and 16, 2020; WHEREAS, on January 21, 2020, Plaintiff filed his Motion for a New Trial 13 14 Under Federal Rule of Civil Procedure 59 and for Relief from Judgment Under 15 Federal Rule of Civil Procedure 60(b)(3) (“Plaintiff’s Motion for New Trial”) [Dkt. 16 No. 267]; WHEREAS, Charter’s response to Plaintiff’s Motion for New Trial is 17 18 currently due February 4, 2020; WHEREAS Charter in good faith believes the remaining, outstanding 19 20 transcripts contain information relevant to Plaintiff’s contentions in Plaintiff’s 21 Motion for New Trial, particularly the transcripts of Plaintiff’s Opening Statement 22 and Closing Argument; WHEREAS, Charter has followed up with Ms. Griener about the remaining 23 24 transcripts and was informed on January 28, 2020, that Ms. Greiner was assigned to 25 an ongoing patent trial and would not be able to finish the trial transcripts before the 26 week of February 3, 2020; 27 /// 28 MORGAN, LEWIS & BOCKIUS LLP 1 ATTORNEYS AT LAW LOS ANGELES DB2/ 38175319.1 JOINT STIP RE BRIEFING SCHEDULE FOR MOTION FOR NEW TRIAL 3:15-CV-00556-RCJ-CBC 1 WHEREAS, the Parties agree that a continuance of briefing deadlines on 2 Plaintiff’s Motion for New Trial is necessary to ensure the Parties have the 3 necessary transcripts to respond to and reply in support of Plaintiff’s Motion for 4 New Trial; 5 6 7 8 9 10 11 12 13 WHEREAS, the Parties agree that the requested continuance will not prejudice either party; WHEREAS, this is the first request for amendment of the briefing schedule for Plaintiff’s Motion for New Trial by either party; and WHEREAS, the Parties agree the requested continuance serves the interests of justice and promotes judicial economy; THEREFORE, the Parties STIPULATE, by and through their respective counsel, subject to the Court’s approval, as follows: 1. The deadline for Charter to respond to Plaintiff’s Motion for New Trial 14 is continued from February 4, 2020, to a date ten (10) court days after 15 service of all trial transcripts from the official reporter; 16 2. The deadline for Plaintiff to reply in support of Plaintiff’s Motion for 17 New Trial is continued to a date ten (10) court days after Charter’s 18 deadline to respond. 19 20 21 IT IS SO ORDERED: Dated: January 30, 2020 22 ROBERT C. JONES District Judge 23 24 Dated: January 28, 2020 25 MORGAN, LEWIS & BOCKIUS LLP By: 26 27 28 MORGAN, LEWIS & BOCKIUS LLP ATTORNEYS AT LAW LOS ANGELES 2 DB2/ 38175319.1 /s/ Joseph D. Hadacek Ingrid A. Meyers Christopher J. Banks Kathryn T. McGuigan Joseph D. Hadacek CHARTER COMMUNICATIONS LLC JOINT STIP RE BRIEFING SCHEDULE FOR MOTION FOR NEW TRIAL 3:15-CV-00556-RCJ-CBC

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