Delisle et al v. United States of America

Filing 21

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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1 The Honorable Robert S. Lasnik 2 3 4 5 6 7 UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON AT SEATTLE 8 9 10 11 ARTHUR DELISLE, Plaintiff, 12 13 14 CASE NO. 2:17-cv-00905-RSL v. UNITED STATES OF AMERICA, Defendant. 15 STIPULATED MOTION TO EXTEND DISCOVERY DEADLINE AND SETTLEMENT CONFERENCE DATES AND ORDER 16 17 STIPULATION 18 19 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 21 Order extending the discovery deadline in this case from July 8, 2018 until July 15, 2018. 22 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 25 any other pretrial deadlines at this time. 26 The parties are requesting an one-week extension of the discovery deadline to allow 27 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 2 3 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 6 7 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. 9 10 11 12 The parties though their counsel further agree that neither party will be prejudiced by this agreement. DATED this 25th day of June, 2018. 13 Respectfully submitted, 14 ANNETTE L. HAYES United States Attorney 15 16 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 22 23 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 24 25 26 27 28 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 1 2 3 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 6 7 8 agreed, it is hereby so ORDERED. DATED this 27th day of June, 2018. 9 10 11 A Robert S. Lasnik 12 United States District Judge 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 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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