Bacon v. Black & Decker (U S) Inc et al

Filing 12

ORDER re 11 Stipulated MOTION to Continue Trial and Pretrial Dates, by Judge Robert J. Bryan.(DK)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 MAGISTRATE JUDGE ROBERT J. BRYAN IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON AT TACOMA DANIEL BACON, an individual, No. 3:09-CV-05683-RJB Plaintiff, vs. BLACK & DECKER (U.S.), INC, a foreign corporation and d/b/a DE WALT INDUSTRIAL TOOL CO, foreign corporation; JOHN DOES 1 -5, unknown. Defendant. WHEREAS the parties stipulate to continue trial and pre-trial dates because the plaintiff is still treating, is not fixed and stable, and is going to be undergoing two additional surgeries in the upcoming future for injuries sustained at the time of the accident; and WHEREAS the parties are working together in good faith to address discovery issues as they arise; and WHEREAS it has become evident that the parties' planned discovery will not be completed by the current discovery cut-off; and WHEREAS the parties believe the discovery cut-off should be extended approximately three months and that the trial and other pre-trial dates should be continued accordingly; STIPULATION TO CONTINUE TRIAL AND PRE-TRIAL DATES AND ORDER (Clerk's Action Required) Bacon v. Black & Decker (U.S.), Inc., et al. 3:09-cv-05683-RJB STIPULATION TO CONTINUE TRIAL AND PRETRIAL DATES AND ORDER 1 C:\DOCUME~1\dkaleel\LOCALS~1\Temp\notesFFF692\Stipulation to continue trial date.doc LAW OFFICES OF 3517 6TH AVENUE, #200 TACOMA, WASHINGTON 98406 TELEPHONE (253) 537-4424 FAX (253) 573-1744 TERRY E. LUMSDEN 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 NOW THEREFORE IT IS HEREBY STIPULATED, by and between the parties hereto through their respective counsel, that trial, the pre-trial conference, the settlement conference, mediation, the deadline for filing dispositive motions, the expert and supplemental expert disclosure deadlines and the discovery cut-off should all be extended approximately three months. DATED: April 12, 2010 By:_____/s/ Terry E. Lumsden Terry E. Lumsden, WSBA # 5254 Attorney for Plaintiff Law Offices of Terry E. Lumsden 3517 6th Avenue, Suite 200 Tacoma, Washington 98406 Telephone: (253) 537-4424 Fax: (253) 573-1744 Email: telumsden@aol.com DATED: April 12, 2010 By: /s/ Duncan C. Turner Duncan C. Turner, WSBA#20597 Attorney for Defendant Badgley-Mullins Columbia Center 701 Fifth Avenue, Suite 4750 Seattle, WA 98104 Telephone: (206) 621-6566 Fax: (206) 621-9686 Email:duncanturner@badgleymullins.com Bacon v. Black & Decker (U.S.), Inc., et al. 3:09-cv-05683-RJB STIPULATION TO CONTINUE TRIAL AND PRETRIAL DATES AND ORDER 2 C:\DOCUME~1\dkaleel\LOCALS~1\Temp\notesFFF692\Stipulation to continue trial date.doc LAW OFFICES OF 3517 6TH AVENUE, #200 TACOMA, WASHINGTON 98406 TELEPHONE (253) 537-4424 FAX (253) 573-1744 TERRY E. LUMSDEN 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 ORDER The parties having stipulated as hereinabove set forth and good cause appearing therefore; IT IS HEREBY ORDERED, that the scheduling order be amended. DATED: April 15th, 2010. A ROBERT J. BRYAN United States District Judge Bacon v. Black & Decker (U.S.), Inc., et al. 3:09-cv-05683-RJB STIPULATION TO CONTINUE TRIAL AND PRETRIAL DATES AND ORDER 3 C:\DOCUME~1\dkaleel\LOCALS~1\Temp\notesFFF692\Stipulation to continue trial date.doc LAW OFFICES OF 3517 6TH AVENUE, #200 TACOMA, WASHINGTON 98406 TELEPHONE (253) 537-4424 FAX (253) 573-1744 TERRY E. LUMSDEN

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