Anwar et al v. Fairfield Greenwich Limited et al

Filing 891

STIPULATION AND ORDER AMENDING SECOND AMENDED SCHEDULING ORDER REGARDING STANDARD CHARTERED CASES: IT IS HEREBY STIPULATED AND AGREED, by and among the Standard Chartered Defendants, through their undersigned counsel, and the Standard Chartered Plaintiffs Steering Committee, through its undersigned member, on behalf of all Standard Chartered Plaintiffs, as that term is defined in the Second Amended Scheduling Order Regarding Standard Chartered Cases, DE 609, as follows: 1. Paragraph 12 of the Second Amended Scheduling Order Regarding Standard Chartered Cases, DE 609, is hereby amended to read as follows: 12. The required disclosures under Fed. R Civ. P. 26(a)(2) regarding expert testimony on each issue to which a party bears the burden of proof at trial shall be made not later than July 31, 2012. Rebuttal reports pursuant to Fed. R. Civ. P 26(a)(2) shall be served no later than October 31, 2012. The period for expert witness depositions shall commence upon the filing of rebuttal expert reports and shall conclude 90 days thereafter. This Stipulation and Order applies to all of the Standard Chartered Cases, as that term is defined in the Second Amended Scheduling Order Regarding Standard Chartered Cases, DE 609. (Signed by Judge Victor Marrero on 6/11/2012) (jfe)

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F,om: RI'1::'d B'od.k~ Fax: +1 (212; 801>-1932 To: F"", (889) '1191-6819 Pas- 2 of 6 615120122:25 UNITED STATES DISTRICT CQ~~;:=:~::='=::::;::==::::::::=;1 SOUTHERN DISTRICT OF NEW DoC.:,UMENT ~ , EI:ECTRONICALLY flLET1 I PASHA S. ANWAR, et aI., Plaintiffs, r)OC#: .,J?ATE Fit.~P: v. FAIRFIELD GREENWICH LIMITED, et al., Master File No. 09-cv-118 (VM) (THK) Defendants. aphis Ih "mont Relates To. idl SI."Slldatd QI ,.. J Ii Q18e8. STIPULATION AND ORDER AMENDING SECOND AMENDED SCHEDULING ORDER REGARDING STANDARD CHARTERED CASES IT IS HEREBY STIPULATED AND AGREED, by and among the Standard Chartered Defendants, 1 through their undersigned counsel, and the Standard Chartered Plaintiffs Steering Committee, through its undersigned member, on behalf of all Standard Chartered Plaintiffs, as that term is defined in the Second Amended Scheduling Order Regarding Standard Chartered Cases, DE 609, as follows: I. Paragraph 12 of the Second Amended Scheduling Order Regarding Standard Chartered Cases, DE 609, is hereby amended to read as follows: 12. The required disclosures under Fed. R Civ. P. 26(aX2) regarding expert testimony on each issue to which a party bears the burden of proof The Standard Chartered Defendants include: Standard Chartered Bank International (Americas) Ltd., Standard Chartered Bank, Standard Chartered PLC, Standard Chartered International (USA) Ltd, Carlos Gadala-Maria, Raul N. Mas, Robert Friedman, Rodolfo Pages, John G. Dutkowski, and Luisa Serena. As used herein, "Standard Chartered Defendants" also includes any other entity or individual currently or to-be named as a defendant in a Standard Chartered Case that is affiliated with Standard Chartered Bank or a current or former employee of Standard Chartered Bank or any of its affiliates. From: Ri<;!:..'~d Srodaky Fax: (888) 391-581& To: Fax; +1 ,'ll'l) 805-7932 Page 3 of I> 61512012 2:25 at trial shall be made not later than July 31, 2012. Rebuttal reports pursuant to Fed. R. Civ. P 26(aX2) shall be served no later than October 31,2012. The period for expert witness depositions shall commence upon the filing of rebuttal expert reports and shall conclude 90 days thereafter. 2. lhis Stipulation and Order applies to all of the Standard Chartered Cases, as that tenn is defined in the Second Amended Scheduling Order Regarding Standard Chartered Cases, DE 609. 3. lhis Stipulation and Order may be executed in counterparts, which together shall constitute one document. Any Plaintiffor Defendant added by name to this case after the "so ordering" of this Stipulation and Order shall be bound by it without having to execute it Dated: June 4, 2012 Respectfully submitted, s/Richard E. Brodsky Richard E. Brodsky By: Richard E. Brodsky The Brodsky Law Finn, PL 200 South Biscayne Boulevard, PL Miami, Florida 33131 Phone: (786) 220-3328 rbrodsky@thebrodskylawfinn.cm (Pro Hac Vice Admission Granted) Attorneyfor Maridom Limited, Caribetrans, S. A andAbbott Capital, Inc. On Behalf of the Standard Chartered Plaintiffs' Steering Committee 2 From: RlclL d Brodsky .... Fax: (888) 391-5819 F.~: To: +1 i212) 805-7932 Page 4 of I> 61SJ2012 2:25 lsi Diane L. McGimsey By: Diane L. McGimsey SULLIVAN & CROMWELL LLP 1888 Century Park East Los Angeles, California 90067 Phone:(310)712~00 mcgimseyd@sullcrom.com (Pro Hac Vice Admission Granted) Attorneysfor Defendants Standard Chartered Bank International (Americas) lJd, Standard Chartered International (USA) lJd, Standard Chartered Bank and Standard Chartered PLC lsi Ricardo A. Gonzalez By: Ricardo A. Gonzalez GREENBERG TRAURIG, PA. 333 S.E. 2nd Avenue Miami, Florida 33131 Phone: (305) 579-0891 gonzalezr@gtlaw.com (Pro Hac Vice Admission Granted) Attorneysfor Defendants Carlos Gadala-Maria, Raul N. Mas, Robert Friedman, Rodolfo Pages, John G. Dutkowski, and Luisa Serena d New York, New York, this -IL- day of JWle,2012. SO ORDERED. / ~ RMAiRERO. U.S.D~~ ~~ -.­ ..-........',...'" ~-'~ .... ~ 3

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