Delisle et al v. United States of America
Filing
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STIPULATION AND ORDER to extend deadlines re parties' 20 Stipulated Motion; Discovery deadline EXTENDED to 7/15/2018; Settlement deadline EXTENDED to 8/31/2018, signed by Judge Robert S. Lasnik.(SWT)
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The Honorable Robert S. Lasnik
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UNITED STATES DISTRICT COURT FOR THE
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
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ARTHUR DELISLE,
Plaintiff,
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CASE NO. 2:17-cv-00905-RSL
v.
UNITED STATES OF AMERICA,
Defendant.
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STIPULATED MOTION TO
EXTEND DISCOVERY
DEADLINE AND SETTLEMENT
CONFERENCE DATES AND
ORDER
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STIPULATION
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COMES NOW the Plaintiff, Arthur Delisle, and Defendant, United States of America,
20 through their attorneys of record and hereby stipulate and request that the Court enter an
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Order extending the discovery deadline in this case from July 8, 2018 until July 15, 2018.
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23 The parties also stipulate and request that the Court extend the settlement conference
24 deadline from July 22, 2018 to August 31, 2018. The parties are not requesting adjustment of
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any other pretrial deadlines at this time.
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The parties are requesting an one-week extension of the discovery deadline to allow
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28 for the deposition of Plaintiff and his wife due to scheduling conflicts that necessitated
Stipulated Motion To
Extend Dates
[2:17-cv-00905-RSL] - 1
UNITED STATES ATTORNEY
700 STEWART STREET, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
1 moving the depositions to a few days after the current deadline of July 8, 2018. Given the
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later deposition date of Plaintiff and his wife, the parties are also requesting an extension of
4 time for the settlement conference deadline in this case in order to allow both parties to fully
5 assess settlement options after the close of discovery. The trial of this matter is set for
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November 5, 2018, so there will still be adequate time for the parties to prepare for trial and
8 meet other scheduled pretrial deadlines, if necessary.
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The parties though their counsel further agree that neither party will be prejudiced by
this agreement.
DATED this 25th day of June, 2018.
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Respectfully submitted,
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ANNETTE L. HAYES
United States Attorney
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17 s/ Sok-Khieng Lim
18 SOK-KHIENG LIM, WSBA #30607
Davies Pearson PC
19 920 Fawcett Avenue
20 Tacoma, Washington 98401
Phone: 253-620-1500
21 Email: slim@dpearson.com
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Attorney for Plaintiff
s/ Tricia Boerger
TRICIA BOERGER, WSBA #38581
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
Email: tricia.boerger@usdoj.gov
Attorneys for Defendant
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Stipulated Motion To
Extend Dates
[2:17-cv-00905-RSL] - 2
UNITED STATES ATTORNEY
700 STEWART STREET, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
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ORDER
The Court, having reviewed the parties’ stipulated motion and the record in this
4 matter and being fully informed, finds good cause exists to extend the discovery deadline
5 and the settlement deadline as requested. As such, and the parties having so stipulated and
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agreed, it is hereby so ORDERED.
DATED this 27th day of June, 2018.
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A
Robert S. Lasnik
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United States District Judge
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Stipulated Motion To
Extend Dates
[2:17-cv-00905-RSL] - 3
UNITED STATES ATTORNEY
700 STEWART STREET, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
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