Filed: Mar. 11, 2019
Latest Update: Mar. 11, 2019
Summary: STIPULATION AND ORDER TO EXTEND EXPERT DISCOVERY DEADLINES HAYWOOD S. GILLIAM, JR. , District Judge . Pursuant to Federal Rules of Civil Procedure Rule 16(b)(4), and the Scheduling Order issued by United States District Judge Haywood S, Gilliam Jr. on September 27, 2018 (the "Scheduling Order"), (Dkt. No. 37.) Plaintiff RON FFRANKLIN and Defendant DENNIS MALLY by and through undersigned counsel, hereby jointly stipulate and move to extend expert discovery deadlines for good cause as follows
Summary: STIPULATION AND ORDER TO EXTEND EXPERT DISCOVERY DEADLINES HAYWOOD S. GILLIAM, JR. , District Judge . Pursuant to Federal Rules of Civil Procedure Rule 16(b)(4), and the Scheduling Order issued by United States District Judge Haywood S, Gilliam Jr. on September 27, 2018 (the "Scheduling Order"), (Dkt. No. 37.) Plaintiff RON FFRANKLIN and Defendant DENNIS MALLY by and through undersigned counsel, hereby jointly stipulate and move to extend expert discovery deadlines for good cause as follows:..
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STIPULATION AND ORDER TO EXTEND EXPERT DISCOVERY DEADLINES
HAYWOOD S. GILLIAM, JR., District Judge.
Pursuant to Federal Rules of Civil Procedure Rule 16(b)(4), and the Scheduling Order issued by United States District Judge Haywood S, Gilliam Jr. on September 27, 2018 (the "Scheduling Order"), (Dkt. No. 37.) Plaintiff RON FFRANKLIN and Defendant DENNIS MALLY by and through undersigned counsel, hereby jointly stipulate and move to extend expert discovery deadlines for good cause as follows:
1. Pursuant to the Scheduling Order, the cut-off for:
• Exchange of opening expert reports is March 12, 2019.
• Exchange of rebuttal expert reports is March 27, 2019.
• Close of expert discovery is April 11, 2019.
2. The parties have met and conferred and agree that an additional 30 days extension is necessary to permit the parties to sufficiently complete expert discovery.
3. This is the first request to continue expert discovery deadlines. This extension will not affect the trial date or any other dates previously set by the Court.
4. For the reasons set forth above, the parties respectfully request that this Court continue the previously set expert discovery deadlines as follows:
• Exchange of opening expert reports to April 11, 2019.
• Exchange of rebuttal expert reports to April 26, 2019.
• Close of expert discovery to May 10, 2019.
IT IS SO STIPULATED AND REQUESTED THROUGH THE PARTIES' COUNSELS OF RECORD.
ATTORNEY ATTESTATION
I hereby attest that I have on file all holograph signatures for any signatures indicated by a conformed signature ("/s/") within this E-filed document or have been authorized by Plaintiff's counsel to show their signature on this document as/s/.
Dated: March 8, 2019 By: /s/Joanne Tran
____________________________
Joanne Tran
ORDER
GOOD CAUSE APPEARING THEREFORE, and the parties' having stipulated to the same, the following deadlines have been extended to 30 days:
• Exchange of opening expert reports is April 11, 2019
• Exchange of rebuttal expert reports is April 26, 2019.
• Close of expert discovery is May 10, 2019.
IT IS SO ORDERED.