Bair v. Snohomish County et al

Filing 131

STIPULATION ORDER granting Parties' 130 Joint Motion for Relief from Deadline to Submit Joint Pretrial Schedule. Signed by Judge Barbara J. Rothstein.(MW)

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Case 2:19-cv-00998-BJR Document 131 Filed 02/17/21 Page 1 of 3 Hon. Barbara J. Rothstein 1 2 3 4 5 6 7 8 9 10 11 12 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE CHERYL BAIR, an individual, Plaintiff, vs. SNOHOMISH COUNTY, BERLIN KOFOED, DOES I-X, Defendants. No. C19-998-BJR JOINT MOTION AND ORDER FOR RELIEF FROM THE DEADLINE TO SUBMIT A JOINT PROPOSED PRETRIAL SCHEDULE 13 14 15 After issuing its ruling on the parties’ motions for summary judgment, the Court issued 16 an order for the parties to submit a joint proposed pretrial schedule by February 16, 2021. 17 Dkt. 122. In the interim, Plaintiff filed a motion for leave to take the perpetuation deposition 18 of Scott Lewis, and Snohomish County Defendants filed a motion for a stay of proceedings 19 20 pursuant to the Servicemember Civil Relief Act, requesting that trial be postponed until sometime after June of 2022 due to Sergeant Lewis’s military service. Dkt. 124, 125. The 21 22 23 parties have met and conferred, and Plaintiff and Defendants now jointly request the Court grant the parties relief from its deadline for the parties to submit a proposed pretrial schedule 24 until after the court has ruled on the pending motions, as the Court’s decision would render 25 any schedule submitted by the parties inapplicable. 26 JOINT MOTION AND ORDER FOR RELIEF FROM DEADLINE TO SUBMIT JOINT PRETRIAL SCHEDULE - 1 (C19-998-BJR) Snohomish County Prosecuting Attorney – Civil Division Robert Drewel Bldg., 8th Floor, M/S 504 3000 Rockefeller Ave Everett, Washington 98201-4060 (425)388-6330 Fax: (425)388-6333 Case 2:19-cv-00998-BJR Document 131 Filed 02/17/21 Page 2 of 3 1 2 3 DATED this 16th_ day of February 2021. DATED this _16th day of February 2021. FAIN ANDERSON VanDERHOEF ROSENDAHL O’HALLORAN SPILLANE, PLLC ADAM CORNELL Snohomish County Prosecuting Attorney 4 5 6 7 By: __/s/ Emory C. Wogenstahl____ JENNIFER SMITROVICH, WSBA #37062 EMORY C. WOGENSTAHL, WSBA #53864 Attorneys for Defendant Hamadi Sisawo 8 9 10 11 12 By: _ /s/ Katherine Bosch ___________ BRIDGET CASEY, WSBA # 30459 KATHERINE BOSCH, WSBA #43122 Deputy Prosecuting Attorney Attorneys for Defendants Snohomish County, O. Sewell, T. Jones, R. Ogawa, S. Lewis, and S. Warnken DATED this _16th_ day of February 2021. CIVIL RIGHTS JUSTICE CENTER, PLLC By: ___/s/ Darryl Parker___________ DARRYL PARKER, WSBA #30770 Attorney for Plaintiff Cheryl Bair 13 14 15 16 17 18 19 20 21 22 23 24 25 26 JOINT MOTION AND ORDER FOR RELIEF FROM DEADLINE TO SUBMIT JOINT PRETRIAL SCHEDULE - 2 (C19-998-BJR) Snohomish County Prosecuting Attorney – Civil Division Robert Drewel Bldg., 8th Floor, M/S 504 3000 Rockefeller Ave Everett, Washington 98201-4060 (425)388-6330 Fax: (425)388-6333 Case 2:19-cv-00998-BJR Document 131 Filed 02/17/21 Page 3 of 3 1 2 ORDER IT IS SO ORDERED that the parties’ Joint Motion for Relief from Deadline to Submit 3 Joint Pretrial Schedule is APPROVED and GRANTED. 4 DATED this 17th day of February, 2021. 5 6 7 _____________________________________ HONORABLE BARBARA J. ROTHSTEIN United States District Court Judge 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 JOINT MOTION AND ORDER FOR RELIEF FROM DEADLINE TO SUBMIT JOINT PRETRIAL SCHEDULE - 3 (C19-998-BJR) Snohomish County Prosecuting Attorney – Civil Division Robert Drewel Bldg., 8th Floor, M/S 504 3000 Rockefeller Ave Everett, Washington 98201-4060 (425)388-6330 Fax: (425)388-6333

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