Ogilvie v. Thrifty PayLess Inc

Filing 47

ORDER re parties' 46 Stipulated Motion to Continue Trial Date. Jury Trial continued to 8/2/2021 at 01:30 PM before Judge James L. Robart. Court will issue a new Scheduling Order accordingly. Signed by Judge James L. Robart. (PM)

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Case 2:18-cv-00718-JLR Document 47 Filed 05/14/20 Page 1 of 4 1 THE HONORABLE JAMES L. ROBART 2 3 4 5 6 7 8 IN THE UNITED STATES DISTRICT COURT 9 WESTERN DISTRICT OF WASHINGTON 10 MARJORIE OGILVIE, 11 12 ) ) ) ) ) ) ) ) ) ) ) ) ) Plaintiff, v. THRIFTY PAYLESS INC., a Washington 13 Pennsylvania Corporation; and ASSA ABLOY Entrance Systems US Inc., a 14 Connecticut corporation, 15 Defendants. 16 I. 17 18 Case No.: 2:18-cv-00718-JLR STIPULATION AND ORDER TO CONTINUE TRIAL NOTED FOR CONSIDERATION: May 12, 2020 STIPULATION COMES NOW DEFENDANT ASSA ABLOY ENTRANCE SYSTEMS US INC., through their attorneys, R. Scott Fallon and Eden E. Goldman, PLAINTIFF MARJORIE OGILVIE, 19 20 through her attorney, Steven G. Phillips, and DEFENDANT THRIFTY PAYLESS INC. through their attorneys John R. Barhoum and Jessica Lancaster stipulate and request to continue trial to the 21 end of the Court’s trial calendar. 22 1. On May 5, 2020, the parties jointly filed a “Stipulation and Order to Adjust Minute 23 Order Setting Trial Dates and Related Dates.” 24 2. On May 12, 2020, the Court denied the Motion, but stated “If the parties would like to 25 move their trial date to the end of the court’s trial calendar, they may file a stipulation to so notify the court. The parties should be aware that the court is presently setting trials in approximately the summer of 2021.” (Document 45) MAY 2020 STIPULATION AND ORDER TO CONTINUE TRIAL - 1 Case 2:18-cv-00718-JLR Document 47 Filed 05/14/20 Page 2 of 4 1 3. The parties are in agreement that they would like to move their current trial to the end 2 of the Court’s trial calendar. Accordingly, Defendants and Plaintiff request a continuance of the 3 current trial and accompanying dates to the Court’s earliest available date at the end of the trial 4 calendar, with the understanding that this will be summer 2021. Given the Jewish High Holidays, the parties request the Court not assign a trial date during the first two weeks in September 2021. 5 The parties are otherwise available. 6 STIPULATION DATED this 12th day of May, 2020. 7 8 9 10 11 12 13 14 15 16 17 s/Steven G. Phillips Attorney for Plaintiff Steven G. Phillips, WSBA #22789 LAW OFFICE OF JAY CAREY P.O. Box 190 420 North McLeod Arlington, WA 98223 s/John R. Barhoum s/Jessica Lancaster Attorney for Defendant Thrifty Payless John R. Barhoum, WSBA #42776 Jessica Lancaster CHOCK BARHOUM LLP 121 SW Morrison Street, Suite 415 Portland, OR 97204 s/R. Scott Fallon s/Eden E. Goldman Attorney for Defendant Assa Abloy Entrance Systems US Inc. R. Scott Fallon, WSBA #2574 Eden E. Goldman, WSBA #54131 155 NE 100th Street, Suite 401 Seattle, WA 98125 18 19 20 21 22 23 24 25 MAY 2020 STIPULATION AND ORDER TO CONTINUE TRIAL - 2 Case 2:18-cv-00718-JLR Document 47 Filed 05/14/20 Page 3 of 4 1 2 I. ORDER THIS MATTER having come before the Court on the stipulated motion of Defendants 3 and Plaintiff to adjust the Minute Order Setting Trial Dates and Related Dates in this matter, the 4 Court being fully appraised after reviewing the record and finding the motion to in the order, 5 6 7 NOW THEREFORE IT IS HEREBY ORDERED that the current trial date is continued to August 2, 2021. The Court will issue a new Scheduling Order accordingly. SIGNED THIS 14th day of May, 2020. 8 9 10 11 A JAMES L. ROBART United States District Judge 12 13 14 15 16 17 18 19 20 21 22 23 24 25 MAY 2020 STIPULATION AND ORDER TO CONTINUE TRIAL - 3 Case 2:18-cv-00718-JLR Document 47 Filed 05/14/20 Page 4 of 4 CERTIFICATE OF SERVICE 1 2 3 4 5 I hereby certify that on May 12, 2020, I electronically filed the following document(s): 1. STIPULATION AND ORDER TO CONTINUE TRIAL with the Clerk of the Court using the CM/ECF system, which will send notification of such filing to the following: 6 Attorneys for Plaintiff: 7 10 Steven G. Phillips LAW OFFICES OF JAY CAREY P.O. Box 190 420 North McLeod Arlington, WA 98223 steve@jaycareylaw.com 11 Attorneys for Defendant Thrifty PayLess Inc.: 12 John R. Barhoum CHOCK BARHOUM LLP 121 sw Morrison Street, Suite 415 Portland, OR 97204 john.barhoum@chockbarhoum.com 8 9 13 14 15 16 17 18 19 20 21 Cheryl Erickson FALLON McKINLEY PLLC 155 100th Street, Suite 401 Seattle, WA 98125 Tel: 206-682-7580 Fax: 206-682-3437 cheryl@fallonmckinley.com 22 23 24 25 MAY 2020 STIPULATION AND ORDER TO CONTINUE TRIAL - 4

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