Zamora v. Lock-N-Lift Inc
Filing
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ORDER granting Parties' 26 Stipulated Motion to Continue Trial Date and Pretrial Deadlines. 5-day Bench Trial is set for 2/3/2025 before Judge Barbara J. Rothstein. Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 7/8/2024, Discovery completed by 8/8/2024, Dispositive motions due by 9/4/2024, Motions in Limine due by 12/30/2024, Joint Pretrial Statement due by 1/6/2025, Pretrial Conference set for 1/21/2025. Signed by Judge Barbara J. Rothstein. (SB)
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THE HONORABLE BARBARA J. ROTHSTEIN
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UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
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MIQUIYAH ZAMORA, AKA MIQUIYAH
J. ZAMORA SIMMONS,
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Plaintiff,
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ORDER SETTING TRIAL DATE AND
RELATED DATES
v.
LOCK-N-LIFT, INC., a foreign (Nevada)
Corporation, and LOCK-N-LIFT LLC, a
foreign (Nevada) Limited Liability Company
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Case No. 2:23-cv-00154 BJR
Defendants.
The following dates are set at the direction of the Court after reviewing the stipulated
motion to extend trial date and related dates submitted.
TRIAL DATE
February 3, 2025
Reports from expert witness under FRCP 26(a)(2) due
July 8, 2024
Discovery completed by
August 8, 2024
All dispositive motions must be filed by
September 4, 2024
All motions in limine must be filed by
December 30, 2024
Joint Pretrial Statement
January 6, 2025
ORDER SETTING TRIAL DATE
AND RELATED DATES - 1
Case No. 2:23-cv-00154 BJR
134955.0001/9702840.1
LANE POWELL PC
1420 FIFTH AVENUE, SUITE 4200
P.O. BOX 91302
SEATTLE, WASHINGTON 98111-9402
206.223.7000 FAX: 206.223.7107
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Pretrial conference
January 21, 2025
Length of Bench Trial
5 days
All other dates are specified in the Local Civil Rules and/or the Court's Standing Order
in all civil cases. If any of the dates identified in this Order, the Standing Order, or the Local
Civil Rules fall on a weekend or federal holiday, the act or event shall be performed on the next
business day. These are firm dates that can be changed only by order of the Court, not by
agreement of counsel or the parties. The Court will alter these dates only upon good cause
shown: failure to complete discovery in the time allowed is not recognized as good cause.
Counsel must be prepared to begin trial on the date scheduled, but it should be
understood that the trial may have to await the completion of other cases.
SO ORDERED. DATED this 27th day of March, 2024.
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Presented by:
A
Barbara Jacobs Rothstein
U.S. District Court Judge
LANE POWELL PC
By: s/ Daniel Miller
Jeffrey M. Odom, WSBA No. 36168
Aaron Schaer, WSBA No. 52122
Daniel Miller, WSBA No. 56810
1420 Fifth Avenue, Suite 4200
P.O. Box 91302
Seattle, Washington 98111-9402
Telephone: 206.223.7000
odomj@lanepowell.com
schaera@lanepowell.com
millerd@lanepowell.com
Attorneys for Defendants
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ORDER SETTING TRIAL DATE
AND RELATED DATES - 2
Case No. 2:23-cv-00154 BJR
134955.0001/9702840.1
LANE POWELL PC
1420 FIFTH AVENUE, SUITE 4200
P.O. BOX 91302
SEATTLE, WASHINGTON 98111-9402
206.223.7000 FAX: 206.223.7107
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MCKEAN SMITH
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By: s/ Collin C. McKean (via email authorization)
Collin C. McKean, WSBA No. 42261
655 W. Columbia Way, Suite 504
Vancouver, WA 98660
Telephone: 360-502-7022
Collin@McKeanSmithLaw.com
Attorney for Plaintiff
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Attorney for Plaintiff
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ORDER SETTING TRIAL DATE
AND RELATED DATES - 3
Case No. 2:23-cv-00154 BJR
134955.0001/9702840.1
LANE POWELL PC
1420 FIFTH AVENUE, SUITE 4200
P.O. BOX 91302
SEATTLE, WASHINGTON 98111-9402
206.223.7000 FAX: 206.223.7107
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