Bridges v. County of Sacramento, 2:18-cv-02978 MCE EFB. (2019)
Court: District Court, E.D. California
Number: infdco20191008n92
Visitors: 16
Filed: Oct. 01, 2019
Latest Update: Oct. 01, 2019
Summary: STIPULATION AND ORDER TO MODIFY PRETRIAL SCHEDULING ORDER MORRISON C. ENGLAND, JR. , District Judge . COME NOW THE PARTIES by and through their respective attorneys and subject to the approval of this Court, hereby stipulate and respectfully request the following modifications and/or amendments to this Court's Pretrial Scheduling Order of November 15, 2018 [Dkt. 4] regarding the scheduling of this case: • That the discovery cut-off date currently set for November 14, 2019 be moved to March
Summary: STIPULATION AND ORDER TO MODIFY PRETRIAL SCHEDULING ORDER MORRISON C. ENGLAND, JR. , District Judge . COME NOW THE PARTIES by and through their respective attorneys and subject to the approval of this Court, hereby stipulate and respectfully request the following modifications and/or amendments to this Court's Pretrial Scheduling Order of November 15, 2018 [Dkt. 4] regarding the scheduling of this case: • That the discovery cut-off date currently set for November 14, 2019 be moved to March ..
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STIPULATION AND ORDER TO MODIFY PRETRIAL SCHEDULING ORDER
MORRISON C. ENGLAND, JR., District Judge.
COME NOW THE PARTIES by and through their respective attorneys and subject to the approval of this Court, hereby stipulate and respectfully request the following modifications and/or amendments to this Court's Pretrial Scheduling Order of November 15, 2018 [Dkt. 4] regarding the scheduling of this case:
• That the discovery cut-off date currently set for November 14, 2019 be moved to March 14, 2020;
• That the expert witness disclosure cut-off date currently set for January 13, 2020 be moved to May 13, 2020;
• That the supplemental expert witness disclosure cut-off date currently set for February 12, 2020 be moved to June 12, 2020;
• That the Dispositive Motion filing cut-off date currently set for May 12, 2020 be moved to September 12, 2020;
This calendaring modification is requested so that the parties can attempt to resolve the case prior to the completion of discovery and the retention or further retention of experts. The parties believe that the savings in costs and attorney fees that this stipulation would permit could significantly increase the chances of resolution.
IT IS SO STIPULATED.
Dated: September 30, 2019 WEINBERGER LAW FIRM
By _________/s/_____________________
Joseph B. Weinberger
Attorneys for Plaintiffs
Dated: September 30, 2019 PORTER SCOTT
A PROFESSIONAL CORPORATION
By __________/s/____________________
Carl L. Fessenden
Taylor Rhoan
Nicholas W. McKinney
Attorneys for Defendants
IT IS SO ORDERED.
Source: Leagle