Hunter v. City of Federal Way et al

Filing 17

STIPULATION AND ORDER to Extend Discovery Deadlines re parties' 16 Stipulated Motion ; Discovery deadline EXTENDED to 8/18/2017, signed by Judge Robert S. Lasnik. (SWT)

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1 HONORABLE ROBERT S. LASNIK 2 3 4 5 6 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON 8 9 10 JOSIAH HUNTER, No. 2:16-cv-01445-RSL Plaintiff, 11 12 v. 13 CITY OF FEDERAL WAY, FEDERAL WAY POLICE DEPARTMENT, FEDERAL WAY POLICE OFFICER KRIS DURRELL, FEDERAL WAY POLICE CHIEF ANDY J. HWANG, JOHN DOE AND JANE DOE OFFICERS, 14 15 STIPULATED MOTION TO EXTEND DISCOVERY DEADLINES AND ORDER NOTE ON MOTION CALENDAR: July 21, 2017 Defendants. 16 17 I. 18 STIPULATION COMES NOW PLAINTIFF, JOSIAH HUNTER, through his attorney, Jesse Valdez, and 19 20 defendants, CITY OF FEDERAL WAY, FEDERAL WAY POLICE DEPARTMENT, FEDERAL 21 WAY POLICE OFFICER KRIS DURRELL, AND FEDERAL WAY POLICE CHIEF ANDY J. 22 HWANG, through their attorney, Ann E. Trivett, and stipulate and request an extension of the discovery 23 24 deadline for the limited purpose of deposing Federal Way Police Officer Keith Schmidt for the following reasons: 25 1. On December 15, 2016, the Court filed a minute order setting trial and pretrial dates. In that 26 27 28 order, the Court ordered discovery to be completed by August 6, 2017. Stipulated Motion to Extend Discovery Deadline and Order 1 VALDEZ LEHMAN, PLLC 600 108th Ave NE Ste 347 Bellevue, WA 98004 P: 425.458.4415 F: 425.732.0130 2. Defendants and Plaintiff Josiah Hunter are currently coordinating depositions. 1 3. Due to scheduling issues, the parties would like Officer Schmidt’s deposition to take place on 2 3 Thursday, August 17, 2017 at 9:30 a.m. 4 5 4. Defendants and Plaintiff Josiah Hunter believe that extending the discovery deadline of the limited purpose of deposing Officer Schmidt is in the best interest of all parties. 6 7 8 WHEREFORE Defendants and Plaintiff Josiah Hunter request that the Court extend the discovery deadline to August 18, 2017, for the limited purpose of deposing Officer Schmidt. STIPULATION DATED this 21st day of July 2017. 9 10 11 12 13 Attorney for Plaintiff VALDEZ LEHMAN, PLLC. By /s/ Jesse Valdez______________ Jesse Valdez, WSBA# 35378 Co-Counsel and Attorney for Plaintiff Josiah Hunter Attorney for Defendants CHRISTIE LAW GROUP, PLLC By /s/ Ann E. Trivett Ann E. Trivett, WSBA #39228 Attorneys for Defendants 14 ORDER 15 16 THIS MATTER having come before the Court on the stipulated motion of Defendants and 17 Plaintiff Josiah Hunter to extend the discovery deadlines, and the Court being fully appraised after 18 reviewing the record and finding the motion to be in the order; NOW THEREFORE 19 20 21 IT IS HEREBY ORDERED that the discovery deadline in this matter be extended to August 18, 2017. SIGNED THIS 28th day of July, 2017. 22 23 A Robert S. Lasnik 24 25 United States District Judge 26 27 28 Stipulated Motion to Extend Discovery Deadline and Order 2 VALDEZ LEHMAN, PLLC 600 108th Ave NE Ste 347 Bellevue, WA 98004 P: 425.458.4415 F: 425.732.0130

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