Filed: Feb. 28, 2018
Latest Update: Feb. 28, 2018
Summary: STIPULATED REQUEST TO MODIFY INITIAL PRETRIAL SCHEDULING ORDER;ORDER KIMBERLY J. MUELLER , District Judge . TO THE COURT, ALL PARTIES, AND TO THEIR ATTORNEYS OF RECORD: Plaintiff Jeffrey A. Caron ("Plaintiff") and Defendant Act-On Software, Inc. ("Defendant"), by and through their counsel of record, hereby recite and stipulate, subject to the Court's approval as provided for herein, as follows: RECITALS 1. This is a single plaintiff employment dispute between Plaintiff and his former em
Summary: STIPULATED REQUEST TO MODIFY INITIAL PRETRIAL SCHEDULING ORDER;ORDER KIMBERLY J. MUELLER , District Judge . TO THE COURT, ALL PARTIES, AND TO THEIR ATTORNEYS OF RECORD: Plaintiff Jeffrey A. Caron ("Plaintiff") and Defendant Act-On Software, Inc. ("Defendant"), by and through their counsel of record, hereby recite and stipulate, subject to the Court's approval as provided for herein, as follows: RECITALS 1. This is a single plaintiff employment dispute between Plaintiff and his former emp..
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STIPULATED REQUEST TO MODIFY INITIAL PRETRIAL SCHEDULING ORDER;ORDER
KIMBERLY J. MUELLER, District Judge.
TO THE COURT, ALL PARTIES, AND TO THEIR ATTORNEYS OF RECORD:
Plaintiff Jeffrey A. Caron ("Plaintiff") and Defendant Act-On Software, Inc. ("Defendant"), by and through their counsel of record, hereby recite and stipulate, subject to the Court's approval as provided for herein, as follows:
RECITALS
1. This is a single plaintiff employment dispute between Plaintiff and his former employer Act-On.
2. On August 17, 2017, the Court entered a Scheduling Order in this matter (ECF No. 37);
3. The Court's Scheduling Order provided for the following deadlines:
Event Deadline
Completion of All Discovery March 23, 2018
Disclosure of Expert Witnesses July 6, 2018
Disclosure of Supplemental Expert August 10, 2018
Witnesses
Last day to hear dispositive motions June 15, 2018
Final Pretrial Conference October 19, 2018
Joint Pretrial Conference Statement September 28, 2018
Jury Trial November 26, 2018
4. The Parties have been progressing through discovery and are currently scheduled to conduct multiple depositions prior to the scheduled close of discovery, including the deposition of a former Act-On employee in Denver, Colorado. The Parties, however, desire to participate in private mediation prior to completing this and other future discovery.
STIPULATION
In order to allow the Parties additional time to attend private mediation and to complete the remaining discovery, the Parties hereby submit this stipulated request that the Court extend the deadlines in its Scheduling Order by sixty (60) days. The Parties further agree that no further discovery shall take place until after the anticipated private mediation.
ORDER
Pursuant to the terms of the foregoing stipulation, the Court GRANTS the Parties' stipulated request.
ACCORDINGLY, IT IS HEREBY ORDERED that:
The Parties' stipulated request is GRANTED. All dates in the August 17, 2017
Scheduling Order are continued for sixty (60) days. Specifically:
Event Original Deadline New Deadline
Completion of All Discovery March 23, 2018 May 25, 2018
Disclosure of Expert July 6, 2018 September 7, 2018
Witnesses
Disclosure of Supplemental August 10, 2018 October 12, 2018
Expert Witnesses
Last day to hear dispositive June 15, 2018 August 17, 2018
motions
Final Pretrial Conference October 19, 2018 December 21, 2018 at
10:00 a.m. in Courtroom #3
Joint Pretrial Conference September 28, 2018 November 30, 2018
Statement
Jury Trial November 26, 2018 January 22, 2019 at
9:00 a.m. in Courtroom #3
IT IS SO ORDERED.