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IN RE CATHODE RAY TUBE (CRT) ANTITRUST LITIGATION, 1917. (2014)

Court: District Court, N.D. California Number: infdco20141028b71 Visitors: 6
Filed: Oct. 22, 2014
Latest Update: Oct. 22, 2014
Summary: STIPULATION AND [PROPOSED] ORDER REGARDING SERVICE OF EXPERT SUR-REBUTTAL REPORTS SAMUEL CONTI, District Judge. WHEREAS, pursuant to the Stipulation and Order Regarding Scheduling dated March 21, 2014 (Doc. No. 2459) ("Scheduling Order") and Stipulation and Order Regarding Service of Expert Rebuttal Report (Doc. No. 2818) dated September 9, 2014, on September 26, 2014, Plaintiffs served the expert report of Dr. Janet Netz, who addressed issues related to the Indirect Purchaser Plaintiff
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STIPULATION AND [PROPOSED] ORDER REGARDING SERVICE OF EXPERT SUR-REBUTTAL REPORTS

SAMUEL CONTI, District Judge.

WHEREAS, pursuant to the Stipulation and Order Regarding Scheduling dated March 21, 2014 (Doc. No. 2459) ("Scheduling Order") and Stipulation and Order Regarding Service of Expert Rebuttal Report (Doc. No. 2818) dated September 9, 2014, on September 26, 2014, Plaintiffs served the expert report of Dr. Janet Netz, who addressed issues related to the Indirect Purchaser Plaintiffs' ("IPPs") claims and the Defendants' experts' reports;

WHEREAS, pursuant to the Scheduling Order, Defendants' experts' sur-rebuttal reports are currently required to be served no later than October 31, 2014;

WHEREAS, due to scheduling conflicts of Dr. Janet Netz and Defendants, Defendants are unable to take the deposition of Dr. Janet Netz prior to October 31, 2014;

WHEREAS, in order to accommodate the parties' schedules and that of their experts, the parties hereto have reached an agreement as set forth herein;

IT IS HEREBY STIPULATED AND AGREED by counsel for the undersigned parties as follows:

1. IPPs will produce Dr. Janet Netz for deposition on October 31, 2014 at Zelle Hofmann Voelbel & Mason LLP's San Francisco office;

2. The last day for Defendants' experts to serve their sur-rebuttal expert reports on the merits is extended to November 6, 2014;

3. The last day for Defendants' experts to serve their backup productions of materials relied upon in their sur-rebuttal expert reports on the merits is extended to November 11, 2014;

4. All other dates in the Scheduling Order are unaffected by this stipulation

***

The undersigned Parties jointly and respectfully request that the Court enter this stipulation as an order.

PURSUANT TO STIPULATION, IT IS SO ORDERED.

Pursuant to Local Rule 5-1(i), the filer attests that the concurrence in the filing of this document has been obtained from each of the above signatories.

Source:  Leagle

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