TALCO Services, LLC v. BNSF Railway Company

Filing 14

STIPULATION AND ORDER to extend deadline re parties' 13 Stipulated Motion; Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 7/2/2018, signed by Judge Thomas S. Zilly.(SWT)

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Honorable Thomas S. Zilly 1 2 3 4 5 6 7 8 9 10 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE TALCO SERVICES, LLC, 11 12 13 14 NO. 17-01516-TSZ Plaintiff, STIPULATED MOTION AND ORDER TO EXTEND EXPERT DISCLOSURE DEADLINE BY ONE WEEK (JUNE 25 TO JULY 2, 2018) v. BNSF RAILWAY COMPANY, a Delaware corporation, Defendant. 15 16 17 STIPULATION 18 Talco Services, LLC, the Plaintiff, herein (“Talco”), and BNSF Railway Company, 19 THE Defendant (“BNSF”), by and through their undersigned counsel, stipulate, and 20 move the Court for entry of the agreed order set forth below extending the deadline 21 by one week for the disclosure of expert testimony under FRCP 26(a)(2), from 22 23 Monday, June 25, 2018 to Monday, July 2, 2018. In the course of discussing AND 24 finalizing the damages analysis with its damages expert, Talco and its expert 25 concluded that certain additional information from Talco’s records was necessary and 26 STIPULATED MOTION AND ORDER TO EXTEND EXPERT DISCLOSURE DEADLINE OF ONE WEEK (JULY 2, 2018)- 1 (Case No. 17-01516-TSZ) {17096/008/01685567-1} MONTGOMERY PURDUE BLANKINSHIP & AUSTIN PLLC ATTORNEYS AT LAW 5500 COLUMBIA CENTER 701 FIFTH AVENUE SEATTLE, WA 98104-7096 (206) 682-7090 TEL (206) 625-9534 FAX 1 Talco’s Principal, Gregory Nordholm, has been in the field performing a job this week 2 which has rendered him unable to provide the additional information to Talco’s 3 expert. BNSF is agreeable to a one week extension to accommodate Talco’s 4 circumstances, and BNSF confirms that agreement in the form of this stipulation by 5 6 way of the signature of BNSF’s counsel below. An extension will not adversely 7 impact the case schedule or discovery as the discovery cutoff date is September 24, 8 2018. 9 Dated this 22nd day of June, 2018 10 11 MONTGOMERY PURDUE BLANKINSHIP & AUSTIN PLLC 12 13 14 15 s/ Michael E. Gossler_____________ Michael E. Gossler, WSBA No. 11044 701 Fifth Avenue, Suite 5500 Seattle, WA 98104 Telephone: (206) 682-7090 Fax: (206) 625-9534 mgossler@mpba.com 16 Attorneys for Plaintiff 17 18 MONTGOMERY SCARP & CHAIT, PLLC 19 22 s/ Kelsey Endres_____________ Kelsey Endres, WSBA No. 39409 1218 Third Avenue, Suite 2500 Seattle, WA 98101 Telephone: (206) 625-1801 Fax: (206) 625-1807 kelsey@montgomeryscarp.com 23 Attorneys for Defendant 20 21 24 25 26 STIPULATED MOTION AND ORDER TO EXTEND EXPERT DISCLOSURE DEADLINE OF ONE WEEK (JULY 2, 2018)- 2 (Case No. 17-01516-TSZ) {17096/008/01685567-1} MONTGOMERY PURDUE BLANKINSHIP & AUSTIN PLLC ATTORNEYS AT LAW 5500 COLUMBIA CENTER 701 FIFTH AVENUE SEATTLE, WA 98104-7096 (206) 682-7090 TEL (206) 625-9534 FAX 1 ORDER 2 3 The Court being advised of said stipulation, hereby approves an extension of 4 the date for disclosure of expert testimony under FRCP 26(a)(2) from June 25, 2018 5 to July 2, 2018. 6 7 IT IS SO ORDERED. 8 Dated this 27th day of June, 2018. 10 A 11 Thomas S. Zilly United States District Judge 9 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 STIPULATED MOTION AND ORDER TO EXTEND EXPERT DISCLOSURE DEADLINE OF ONE WEEK (JULY 2, 2018)- 3 (Case No. 17-01516-TSZ) {17096/008/01685567-1} MONTGOMERY PURDUE BLANKINSHIP & AUSTIN PLLC ATTORNEYS AT LAW 5500 COLUMBIA CENTER 701 FIFTH AVENUE SEATTLE, WA 98104-7096 (206) 682-7090 TEL (206) 625-9534 FAX

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