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Illinois Union Insurance Company v. Intuitive Surgical, Inc., 3:13-cv-04863-JST. (2017)

Court: District Court, N.D. California Number: infdco20170213890 Visitors: 5
Filed: Feb. 09, 2017
Latest Update: Feb. 09, 2017
Summary: JOINT STIPULATION TO EXTEND EXPERT DEADLINES RE: JOHN HANSEN AND RICHARD HOLSTROM; AND [PROPOSED] ORDER. JON S. TIGAR , District Judge . Illinois Union Insurance Company ("Illinois Union") and Intuitive Surgical, Inc. ("Intuitive") jointly stipulate, pursuant to Local Rules 6-1(b), 6-2, and 7-12, to extend—by two weeks—the close of expert discovery in the consolidated actions, Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST, if it pleases the Court. As stipulated, this exten
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JOINT STIPULATION TO EXTEND EXPERT DEADLINES RE: JOHN HANSEN AND RICHARD HOLSTROM; AND [PROPOSED] ORDER.

Illinois Union Insurance Company ("Illinois Union") and Intuitive Surgical, Inc. ("Intuitive") jointly stipulate, pursuant to Local Rules 6-1(b), 6-2, and 7-12, to extend—by two weeks—the close of expert discovery in the consolidated actions, Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST, if it pleases the Court. As stipulated, this extension shall only apply to the depositions and related document productions of Intuitive's damages expert, John Hansen, and Illinois Union's rebuttal damages expert, Richard Holstrom.

WHEREAS, on July 26, 2016, the parties submitted a Joint Stipulation to Enter Scheduling Order, which was approved and entered by the Court on July 27, 2016 (ECF No. 186 in Case No. 3:13-cv-04863-JST).

WHEREAS, the Scheduling Order provided for the following deadlines related to experts:

Expert Reports Due — December 13, 2016 Rebuttal Expert Reports Due — January 17, 2017 Close Of Expert Discovery — January 31, 2017 WHEREAS, on December 8, 2016, pursuant to the parties' stipulation, the Court extended the expert deadlines by 10 days as follows (ECF No. 200): Expert Reports Due — December 13, 2016 — December 23, 2016 Rebuttal Expert Reports Due — January 17, 2017 — January 27, 2017 Close Of Expert Discovery — January 31, 2017 — February 10, 2017 WHEREAS, the parties, through their counsel, have agreed to an additional two week extension of the close of expert discovery deadline, but only with respect to Intuitive's damages expert, John Hansen, and Illinois Union's rebuttal damages expert, Richard Holstrom. NOW THEREFORE, the parties, through their undersigned counsel, hereby respectfully stipulate and request that the Court extend the above close of expert discovery deadline by two weeks, as follows: Close Of Expert Discovery — February 10, 2017February 24, 2017, but only with respect to Intuitive's damages expert, John Hansen, and Illinois Union's rebuttal damages expert, Richard Holstrom.

The parties further stipulate that this change in the close of expert discovery deadline will not change or affect any of the other dates in the Scheduling Order entered on July 27, 2016.

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

[PROPOSED] ORDER

PURSUANT TO THE FOREGOING STIPULATION OF THE PARTIES, IT IS ORDERED THAT:

The Court enters the following modifications to the case schedule for the consolidated actions, Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST:

Close Of Expert Discovery — February 10, 2017 — February 24, 2017, but only with respect to Intuitive's damages expert, John Hansen, and Illinois Union's rebuttal damages expert, Richard Holstrom.
Source:  Leagle

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