Filed: Jul. 27, 2016
Latest Update: Jul. 27, 2016
Summary: JOINT STIPULATION TO ENTER SCHEDULING ORDER; and [PROPOSED] ORDER. JON S. TIGAR , District Judge . Intuitive Surgical, Inc. ("Intuitive") and Illinois Union Insurance Company ("Illinois Union") jointly stipulate, pursuant to Civil Local Rules 6-1(b), 6-2, and 7-12, to set deadlines for consolidated actions numbered Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST, if it pleases this Court. WHEREAS, on May 12, 2016, the parties submitted a joint case management schedule with
Summary: JOINT STIPULATION TO ENTER SCHEDULING ORDER; and [PROPOSED] ORDER. JON S. TIGAR , District Judge . Intuitive Surgical, Inc. ("Intuitive") and Illinois Union Insurance Company ("Illinois Union") jointly stipulate, pursuant to Civil Local Rules 6-1(b), 6-2, and 7-12, to set deadlines for consolidated actions numbered Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST, if it pleases this Court. WHEREAS, on May 12, 2016, the parties submitted a joint case management schedule with c..
More
JOINT STIPULATION TO ENTER SCHEDULING ORDER; and [PROPOSED] ORDER.
JON S. TIGAR, District Judge.
Intuitive Surgical, Inc. ("Intuitive") and Illinois Union Insurance Company ("Illinois Union") jointly stipulate, pursuant to Civil Local Rules 6-1(b), 6-2, and 7-12, to set deadlines for consolidated actions numbered Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST, if it pleases this Court.
WHEREAS, on May 12, 2016, the parties submitted a joint case management schedule with competing proposed schedules. (Dkt. 171.)1
WHEREAS, on May 26, 2016, this Court conducted a case management conference at which the parties' proposed schedules were discussed.
WHEREAS, the parties have met and conferred in an attempt to propose a schedule suitable to the Court's calendar.
NOW THEREFORE, the parties, through the undersigned counsel, hereby respectfully request that this Court enter the following stipulated case schedule for consolidated actions numbered Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST, if such dates are convenient to this Court:
Event Date
Mediation Deadline October 15, 2016
Close Of Fact Discovery November 10, 2016
Expert Reports Due December 13, 2016
Rebuttal Expert Reports Due January 17, 2017
Close Of Expert Discovery January 31, 2017
Last Day To File Dispositive Motions In Intuitive's Breach February 16, 2017
Of Contract And Bad Faith Case
Last Day To File Opposition To Dispositive Motions In March 9, 20172
Intuitive's Breach Of Contract And Bad Faith Case
Last Day To File Reply to Opposition to Dispositive Motions March 23, 2017
In Intuitive's Breach Of Contract And Bad Faith Case
Pretrial Conference Statement Due May 5, 2017
Pretrial Conference May 26, 2017
Jury Trial June 19, 20173
Pursuant to Civil Local Rule 5-1(i), the filer attests that concurrence in the filing of this document has been obtained form the signatories above.
[PROPOSED] ORDER
PURSUANT TO THE FOREGOING STIPULATION OF THE PARTIES, IT IS ORDERED THAT:
The Court enters the following case schedule for consolidated actions numbered Case No. 3:13-cv-04863-JST and Case No. 3:15-cv-04834-JST.:
Event Date
Mediation Deadline October 15, 2016
Close Of Fact Discovery November 10, 2016
Expert Reports Due December 13, 2016
Rebuttal Expert Reports Due January 17, 2017
Close Of Expert Discovery January 31, 2017
Last Day To File Dispositive Motions In Intuitive's Breach February 16, 2017
Of Contract And Bad Faith Case
Last Day To File Opposition To Dispositive Motions In March 9, 20171
Intuitive's Breach Of Contract And Bad Faith Case
Last Day To File Reply to Opposition to Dispositive Motions March 23, 2017
In Intuitive's Breach Of Contract And Bad Faith Case
Pretrial Conference Statement Due May 5, 2017
Pretrial Conference May 12, 2017
May 26, 2017
Jury Trial June 19, 2017