Kairu v. United States of America

Filing 17

ORDER granting Parties' 16 Second Stipulated MOTION for Extension of Pretrial Deadlines. Expert Witness Reports under FRCP 26(a)(2) due by 2/17/2023, Discovery completed by 3/21/2023. Signed by Judge Barbara J. Rothstein. (SB)

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Case 2:22-cv-00154-BJR Document 17 Filed 01/18/23 Page 1 of 3 The Honorable Barbara J. Rothstein 1 2 3 4 5 6 UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON AT SEATTLE 7 8 9 10 11 12 LUCY W. KAIRU, Plaintiff, v. THE UNITED STATES OF AMERICA, SECOND STIPULATED MOTION AND ORDER FOR EXTENSION OF PRETRIAL DEADLINES Defendant. 13 JOINT STIPULATION 14 15 Case No. 2:22-cv-00154-BJR The parties hereby jointly STIPULATE AND AGREE to extend the following case 16 management dates as set forth in this Court’s November 18, 2022 Order Granting Parties’ 17 Stipulated Motion for Extension of Pretrial Deadlines (Dkt. 15), as set forth below. 18 19 20 21 22 23 Deadline Current Deadline Proposed New Deadline Rebuttal expert witness reports due January 27, 2023 February 17, 2023 Discovery completed by February 28, 2023 March 21, 2023 The parties have agreed to mediate this matter in the next several weeks and are hopeful they can come to an amicable resolution. As such, the parties believe good cause exists for a brief stay of discovery-related deadlines in order to save the parties from expending unnecessary costs. 24 UNITED STATES ATTORNEY 700 Stewart Street, Suite 5220 Seattle, Washington 98101-1271 206-553-7970 Case 2:22-cv-00154-BJR Document 17 Filed 01/18/23 Page 2 of 3 1 This brief extension will not disrupt the trial date or dates for any pretrial filings. 2 For the reasons set forth above, the parties believe that there is good cause to request an 3 extension of the above-listed dates and respectfully request that the Court grant their motion. 4 SO STIPULATED. 5 Dated this 13th day of January, 2023. 6 7 8 9 NICHOLAS W. BROWN United States Attorney CMG LAW s/ Whitney Passmore WHITNEY PASSMORE, FL No. 91922 s/ Tyler Goldberg-Hoss TYLER GOLDBERG-HOSS, WSBA No. 41653 115 NE 100th Street, Ste. 220 Seattle, WA 98125 Phone: 206-443-8600 Email: tyler@cmglaw.com 14 s/ Nickolas Bohl NICKOLAS BOHL, WSBA No. 48978 Assistant United States Attorneys United States Attorney’s Office 700 Stewart Street, Suite 5220 Seattle, Washington 98101-1271 Phone: 206-553-7970 Fax: 206-553-4067 Email: whitney.passmore@usdoj.gov Email: nickolas.bohl@usdoj.gov 15 Attorneys for United States of America 10 11 12 13 Attorney for Plaintiff 16 17 18 19 20 21 22 23 24 UNITED STATES ATTORNEY 700 Stewart Street, Suite 5220 Seattle, Washington 98101-1271 206-553-7970 Case 2:22-cv-00154-BJR Document 17 Filed 01/18/23 Page 3 of 3 ORDER 1 2 It is hereby ORDERED that the parties’ motion is GRANTED. The new pretrial deadlines 3 are as follows: 4 Deadlines 5 Reports expert witness reports due 6 Discovery completed by February 17, 2023 March 21, 2023 7 8 DATED 18th day of January, 2023. 9 10 11 12 A Barbara Jacobs Rothstein U.S. District Court Judge 13 14 15 16 17 18 19 20 21 22 23 24 UNITED STATES ATTORNEY 700 Stewart Street, Suite 5220 Seattle, Washington 98101-1271 206-553-7970

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