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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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
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Plaintiff,
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vs.
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CHARTER COMMUNICATIONS
INC., and CHARTER
COMMUNICATIONS LLC,
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ORDER GRANTING JOINT
STIPULATION TO AMEND
THE PARTIES’ BRIEFING
SCHEDULE RE PLAINTIFF’S
MOTION FOR A NEW TRIAL
[ECF 267]
Defendants.
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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
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Communications, LLC (“Charter”) (collectively, “the Parties”), by and through
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their respective counsel of record, hereby STIPULATE that GOOD CAUSE exists
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to request that the Court amend the Parties’ briefing schedule and continue the
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related deadlines pertaining to Plaintiff’s Motion for a New Trial Under Federal
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Rule of Civil Procedure 59 and for Relief from Judgment Under Federal Rule of
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Civil Procedure 60(b)(3) [Dkt. No. 267], for the following reasons:
WHEREAS, on January 7, 2020, Charter ordered all trial transcripts from
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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
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were made available on January 14 and 16, 2020;
WHEREAS, on January 21, 2020, Plaintiff filed his Motion for a New Trial
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Under Federal Rule of Civil Procedure 59 and for Relief from Judgment Under
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Federal Rule of Civil Procedure 60(b)(3) (“Plaintiff’s Motion for New Trial”) [Dkt.
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No. 267];
WHEREAS, Charter’s response to Plaintiff’s Motion for New Trial is
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currently due February 4, 2020;
WHEREAS Charter in good faith believes the remaining, outstanding
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transcripts contain information relevant to Plaintiff’s contentions in Plaintiff’s
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Motion for New Trial, particularly the transcripts of Plaintiff’s Opening Statement
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and Closing Argument;
WHEREAS, Charter has followed up with Ms. Griener about the remaining
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transcripts and was informed on January 28, 2020, that Ms. Greiner was assigned to
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an ongoing patent trial and would not be able to finish the trial transcripts before the
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week of February 3, 2020;
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///
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MORGAN, LEWIS &
BOCKIUS LLP
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ATTORNEYS AT LAW
LOS ANGELES
DB2/ 38175319.1
JOINT STIP RE BRIEFING SCHEDULE
FOR MOTION FOR NEW TRIAL
3:15-CV-00556-RCJ-CBC
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WHEREAS, the Parties agree that a continuance of briefing deadlines on
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Plaintiff’s Motion for New Trial is necessary to ensure the Parties have the
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necessary transcripts to respond to and reply in support of Plaintiff’s Motion for
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New Trial;
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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
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is continued from February 4, 2020, to a date ten (10) court days after
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service of all trial transcripts from the official reporter;
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2. The deadline for Plaintiff to reply in support of Plaintiff’s Motion for
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New Trial is continued to a date ten (10) court days after Charter’s
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deadline to respond.
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IT IS SO ORDERED: Dated: January 30, 2020
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ROBERT C. JONES
District Judge
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Dated: January 28, 2020
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MORGAN, LEWIS & BOCKIUS LLP
By:
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MORGAN, LEWIS &
BOCKIUS LLP
ATTORNEYS AT LAW
LOS ANGELES
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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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