Hallowell v. Safeway, Inc et al

Filing 16

ORDER granting 15 Stipulated Motion to Continue Trial and Pretrial Motions. Jury Trial is continued to 4/16/2018 before Judge Thomas S. Zilly. Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 9/19/2017, Discovery Motions due by 9/19 /2017, Discovery completed by 1/2/2018, Dispositive motions due by 1/18/2018, Motions in Limine due by 3/15/2018, Agreed Pretrial Order due by 3/29/2018, Voir dire/jury instructions/trial briefs due by 3/29/2018, Pretrial Conference set for 4/6/2018 at 02:00 PM before Judge Thomas S. Zilly. Signed by Judge Thomas S. Zilly. (PM)

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1 Judge Thomas S. Zilly 2 3 4 5 6 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 7 8 MARY HALLOWELL NO. 2:16-cv-00972-TSZ 9 Plaintiff, STIPULATED MOTION AND ORDER TO CONTINUE TRIAL AND PRETRIAL DATES 10 v. 11 SAFEWAY, INC.; JANE DOE, an individual 12 Defendants. 13 14 I. 15 16 17 1. STIPULATION AND MOTION Subject to the Court’s availability and approval, Plaintiff and Defendant Safeway, Inc., by their undersigned counsel, hereby stipulate and agree that the trial in this 18 matter should be continued until April 16, 2018 and below-listed pre-trial deadlines and 19 activities in this case, including but not limited to pending discovery deadlines, should be 20 continued accordingly. 21 22 2. The parties respectfully request that the Trial and Pre-Trial Dates be set out in the Court’s September 21, 2016 Minute Order (Docket 7) and Court’s February 27, 2017 23 24 Minute Order (Docket 13) be amended as follows: 25 STIPULATED MOTION AND ORDER TO CONTINUE TRIAL AND PRETRIAL DATES - 1 (2:16-cv-00972) 6047741.1 Williams, Kastner & Gibbs PLLC 601 Union Street, Suite 4100 Seattle, Washington 98101-2380 (206) 628-6600 1 JURY TRIAL 7 Days 2 Disclosure of Expert Testimony under FRCP 26(a)(2) September 19, 2017 3 All motions related to discovery must be filed by and noted on the motion calendar no later than the third Friday thereafter (see LCR 7(d)) September 19, 2017 4 5 April 16, 2018 Discovery Completed by January 2, 2018 All dispositive motions must be filed by January 18, 2018 6 7 and noted on the motion calendar no later than the forth Friday thereafter (see LCR 7(d)) 8 9 All motions in limine must be filed by 10 March 15, 2018 and noted on the motion calendar no later than the Friday before Pretrial Conference, (See LCR 7(d)(4)) 11 12 Agreed pretrial order due March 29, 2018 13 Trial briefs, proposed voir dire questions and jury instructions March 29, 2018 14 Pretrial Conference to be held at 2:00PM on April 6, 2018 15 16 WILLIAMS, KASTNER & GIBBS, PLLC J.D. SMITH, WARD SMITH PLLC By s/ Rodney L. Umberger, Jr., WSBA #24948 Sarah Stephens Visbeek, WSBA #44016 By s/ J.D. Smith, WSBA #28246 17 18 19 20 21 22 23 601 Union Street, Suite 4100 Seattle, WA 98101-2380 Telephone: (206) 628-6600 Fax: (206) 628-6611 Email: rumberger@williamskastner.com svisbeek@williamskastner.com 24 1000 2nd Avenue, Suite 4050 Seattle, Washington 98104 Phone: (206) 588-8530 Fax: (206) 588 - 8531 Email: jd@wardsmithlaw.com Attorney for Plaintiff Attorneys for Defendant, Safeway, Inc. 25 STIPULATED MOTION AND ORDER TO CONTINUE TRIAL AND PRETRIAL DATES - 2 (2:16-cv-00972) 6047741.1 Williams, Kastner & Gibbs PLLC 601 Union Street, Suite 4100 Seattle, Washington 98101-2380 (206) 628-6600 1 II. ORDER 2 The parties’ stipulated motion to continue, docket no. 15, is GRANTED. 3 IT IS SO ORDERED. 4 DATED this 27th day of April, 2017. A 5 6 Thomas S. Zilly United States District Judge 7 8 Presented By: 9 WILLIAMS, KASTNER & GIBBS, PLLC 10 11 . By s/ Rodney L. Umberger, Jr., WSBA #24948 Sarah Stephens Visbeek, WSBA #44016 12 13 14 15 601 Union Street, Suite 4100 Seattle, WA 98101-2380 Telephone: (206) 628-6600 Fax: (206) 628-6611 Email: rumberger@williamskastner.com svisbeek@williamskastner.com 16 17 Attorneys for Defendant, Safeway, Inc. 18 Approved as to form, Notice of Presentation waived 19 J.D. SMITH, WARD SMITH PLLC 20 By s/ J.D. Smith, WSBA #28246 21 24 1000 2nd Avenue, Suite 4050 Seattle, Washington 98104 Phone: (206) 588-8530 Fax: (206) 588 - 8531 Email: jd@wardsmithlaw.com 25 Attorney for Plaintiff 22 23 STIPULATED MOTION AND ORDER TO CONTINUE TRIAL AND PRETRIAL DATES - 3 (2:16-cv-00972) 6047741.1 Williams, Kastner & Gibbs PLLC 601 Union Street, Suite 4100 Seattle, Washington 98101-2380 (206) 628-6600

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