C.J.B. v. Neighborcare Health et al
Filing
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STIPULATION AND ORDER for Stay of Initial Discovery Deadlines re parties' 13 Stipulated Motion, signed by Judge Robert S. Lasnik. (SWT)
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District Judge Robert S. Lasnik
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UNITED STATES DISTRICT COURT FOR THE
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
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CASE NO. 2:17-CV-00980-RSL
C.J.B.,
Plaintiff,
v.
UNITED STATES OF AMERICA, and
13 SEATTLE SCHOOL DISTRICT, a political
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subdivision of the State Of Washington,
JOINT STIPULATION AND
ORDER FOR A STAY OF INITIAL
DISCOVERY DEADLINES
Noted For Consideration:
July 25, 2017
Defendants.
JOINT STIPULATION
The parties hereby stipulate and agree to stay the scheduling deadlines for initial
disclosures and submission of the Joint Status Report and Discovery Plan as set forth in the
Court’s order, dated July 10, 2017 (Dkt. 10), pending the Court’s decision on the United
19 States’ motion to dismiss, Plaintiff’s request for remand, and Defendant Seattle School
20 District’s motion for a stay. On July 6, 2017, Defendant United States filed a motion to
21 dismiss the claims against the United States for lack of subject matter jurisdiction (Dkt. 7).
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On July 24, 2017, Plaintiff C.J.B. filed a response to the United States’ motion, stating that
Plaintiff does not oppose the motion to dismiss and seeking remand of the remaining claims
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JOINT STIPULATION AND ORDER
FOR A STAY OF INITIAL DISCOVERY DEADLINES
2:17-cv-00980-RSL - 1
UNITED STATES ATTORNEY
700 STEWART STREET, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
1 against Defendant Seattle School District back to King County Superior Court for further
2 proceedings (Dkt. 11). Also in response to the United States’ motion, Defendant Seattle
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School District filed a motion to stay the entire case pending the outcome of Plaintiff’s
administrative claim filed with the United States (Dkt. 12). The motion to dismiss is noted
for the Court’s consideration on July 28, 2017. Accordingly, the parties wish to stay the
5 initial discovery deadlines until the Court’s determination on the United States’ motion to
6 dismiss, Plaintiff’s request for remand, and the Seattle School District’s request for a stay.
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Respectfully submitted,
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Dated this 25th day of July, 2017.
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ANNETTE L. HAYES
United States Attorney
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/s/ Lincoln C. Beauregard
LINCOLN C. BEAUREGARD,
WSBA # 32878
Connelly Law Offices
2301 North 30th Street
Tacoma, Washington 98403
Phone: 253-593-5100
E-mail: lincolnb@connelly-law.com
Attorneys for Plaintiff
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Dated this 25th day of July, 2017.
/s/ Michelle R. Lambert
MICHELLE R. LAMBERT,
NYS #4666657
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
E-mail: michelle.lambert@usdoj.gov
Attorneys for Defendant United States
Dated this 25th day of July, 2017.
19 /s/ Karen L. Phu
KAREN L. PHU, WSBA # 42136
Preg O’Donnell & Gillett PLLC
21 901 Fifth Avenue, Suite 3400
Seattle, Washington 98164
22 Phone: 206-287-1775
E-mail: kphu@pregodonnell.com
23 Attorneys for Defendant Seattle School District
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JOINT STIPULATION AND ORDER
FOR A STAY OF INITIAL DISCOVERY DEADLINES
2:17-cv-00980-RSL - 2
UNITED STATES ATTORNEY
700 STEWART STREET, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
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ORDER
The parties having so stipulated, IT IS SO ORDERED. The deadlines for the parties
to exchange initial disclosures and submit the Joint Status Report and Discovery Plan are
4 stayed until the Court renders the decision on the United States’ pending motion to dismiss.
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DATED this 28th day of July, 2017.
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A
Robert S. Lasnik
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United States District Judge
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JOINT STIPULATION AND ORDER
FOR A STAY OF INITIAL DISCOVERY DEADLINES
2:17-cv-00980-RSL - 3
UNITED STATES ATTORNEY
700 STEWART STREET, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
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