J.J. et al v. United States of America, et al
Filing
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STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINE, by Judge Robert S. Lasnik. Discovery deadline extended to 2/13/2017. (KERR)
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The Honorable Robert S. Lasnik
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UNITED STATES DISTRICT COURT FOR THE
WESTERN DISTRICT OF WASHINGTON
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Case No. NO. 2:15-cv-1967
J. J. et al
Plaintiff,
v.
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UNITED STATES OF AMERICA,
Defendant.
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STIPULATED MOTION AND ORDER
TO CONTINUE DISCOVERY
DEADLINE
The parties in the above-entitled action, by and through their attorneys of record, hereby
stipulate and agree that good cause exists to request a one week extension of the discovery deadline,
which is presently set for February 5, 2017. The parties are not requesting a continuance of the trial
17 date or any of the other case scheduling deadlines.
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Despite the parties’ efforts to complete discovery by the February 5, 2017 deadline, they
19 have been unable to do so as the government's Rule 35 examiner's report was not produced until
20 February 7th 2017 and the deposition will be completed following the report. Thus, the parties are
21 seeking a one week extension of the discovery deadline to complete this final discovery.
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In light of the foregoing, the parties respectfully submit that good cause exists to continue the
23 discovery deadline from February 5, 2017 until February 13, 2017.
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SO STIPULATED.
SO STIPULATED.
DATED this 8th day of February, 2017
DATED this 8th day of February, 2017
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STIPULATED MOTION AND
ORDER TO CONTINUE DISCOVERY DEADLINE - 1
Christopher Williams
143 5th Ave North
Edmonds, WA 98020
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/s/
Christopher Williams #18735
2 143 5th Ave North
3 Edmonds, WA 98020
Phone: 425-778-1151
4 Fax: 425-670-1737
E-mail: cwilliamslaw@gmail.com
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6 Attorneys for Plaintiffs
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EMAIL AGREEMENT
DAVID R. EAST, WSBA #31481
Assistant United States Attorney
Western District of Washington
United States Attorney’s Office
700 Stewart Street, Suite 5220
Seattle, Washington 98101-1271
Phone: 206-553-7970
Fax: 206-553-4073
E-mail: david.east@usdoj.gov
Attorneys for Defendant
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STIPULATED MOTION AND
ORDER TO CONTINUE DISCOVERY DEADLINE - 2
Christopher Williams
143 5th Ave North
Edmonds, WA 98020
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ORDER
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THIS MATTER having come before the Court on the parties’ Stipulated Motion to
4 Continue Discovery Deadline, and the Court having reviewed the Stipulated Motion and the files
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and records herein:
IT IS HEREBY ORDERED that good cause exists to grant the continuance sought by the
Stipulated Motion and thus the Court hereby GRANTS the Stipulated Motion and continues the
discovery deadline from February 5, 2017 until February 13, 2017.
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DATED this 14th day of February, 2017.
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A
Robert S. Lasnik
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United States District Judge
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STIPULATED MOTION AND
ORDER TO CONTINUE DISCOVERY DEADLINE - 3
Christopher Williams
143 5th Ave North
Edmonds, WA 98020
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