Tajalle v. City of Seattle et al
Filing
8
JOINT STATUS REPORT signed by all parties; estimated Trial Days: 2.. (Scannell, John)
Tajalle v. City of Seattle et al
Doc. 8
Case 2:07-cv-01509-TSZ
Document 8
Filed 12/04/2007
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JOINT STATUS REPORT NO. CV071509TSZ - 1
HONORABLE THOMAS S. ZILLY
UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON AT SEATTLE
JUAN TAJALLE, Plaintiff, v. CITY OF SEATTLE, SEATTLE PUBLIC LIBRARY, OFFICER SAM 8 aka JOHN DOE #1, and JOHN DOE #2, Defendants. NO. CV07-1509TSZ COMBINED JOINT STATUS REPORT AND DISCOVERY PLAN
The parties, through their counsel, pursuant to this Court's order and FRCP 26(f) and LR 16 enter into the following Combined Joint Status Report and Discovery Plan: 1. Statement of nature and complexity of the case.
This is a civil rights action for monetary relief against the defendants. There are no special complexities.
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Case 2:07-cv-01509-TSZ
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2.
Statement regarding ADR.
The parties have agreed to mediation. 3. Statement of when mediation should take place.
The mediation should take place by April 15th, 2008. 4. Proposed deadline for joining additional parties.
The parties propose March 15th, 2008 as the deadline for joining additional parties. 5. Proposed Discovery Plan A. The FRCP 26(f) conference took place on November 27th, 2007,
and the initial disclosures will be exchanged by December11, 2007. B. Discovery is necessary for both liability and damages issues, and
discovery does not need to be limited or focused on particular issues nor conducted in phases. C. under the rules. D. The parties will agree to the dates of depositions; depositions will No changes are necessary to the limitations on discovery imposed
be limited to 5 per side. E. The parties know of no other orders at this time that should be
entered by the Court. 6. Discovery Cutoff.
JOINT STATUS REPORT NO. CV071509TSZ - 2
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Case 2:07-cv-01509-TSZ
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The remainder of discovery may be completed by August 1st, 2008 7. Use of Full-time Magistrate. The parties do not consent to using a full-time magistrate. 8. Whether the case should be bifurcated.
Defendants and Plaintiff oppose the bifurcation. 9. Whether Pretrial Statements and Pretrial Orders should be dispensed
No 10. Any suggestions for shortening or simplifying the case.
None at this time 11. The date this case will be ready for trial.
The case will be ready for trial on December1, 2008. 12. Whether the trial will be jury or non-jury.
Defendants have requested a jury. 13. The number of trial days required.
The parties believe the trial will last two days. 14. The names, addresses, and telephone numbers of all trial counsel.
Attorney for Plaintiff: John Scannell ActionLaw.net P.O. Box 3254 Seattle, WA 98114 (206) 624-3685
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Case 2:07-cv-01509-TSZ
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Delivery address is 501 S. Jackson, #302 Seattle, Wash., 98104 Mailing address is P.O. Box 3254 Seattle, Wash., 98114
Attorney for Defendants: Jeffrey M. Cowan P.O. Box 94769 Seattle, Wash., 98124-4769 Delivery address is 600 4th Floor Seattle, Wash., 98104 15. Service of defendants.
Defendant City of Seattle, Seattle Public Library has been served. City of Seattle will accept service for John Doe defendants 16. Whether any party desires a scheduling conference prior to a scheduling
order being entered in this case. None of the parties desires a scheduling conference prior to the scheduling order being entered in this case. DATED this ________ day of December, 2007. ActionLaw.net
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Case 2:07-cv-01509-TSZ
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JOINT STATUS REPORT NO. CV071509TSZ - 5
/s/ John R. Scannell John R. Scannell, WSBA #31035 Attorney for Plaintiff, Juan Tajalle Assistant City Attorney /S/ Jeffrey M. Cowan, WSBA #19205 Attorney for Defendants, City of Seattle, Officer Sam 8, aka John Doe #1, John Doe #2
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