LYON v. U.S. IMMIGRATION AND CUSTOMS ENFORCEMENT, 13-cv-05878 EMC. (2016)
Court: District Court, N.D. California
Number: infdco20160107640
Visitors: 14
Filed: Jan. 06, 2016
Latest Update: Jan. 06, 2016
Summary: SECOND JOINT STIPULATION EXTENDING EXPERT DISCOVERY CUT-OFF; [PROPOSED] ORDER EDWARD M. CHEN , District Judge . The Parties to this action hereby agree to the following and seek an order extending expert discovery by an additional three (3) days. The current deadline to complete expert discovery is January 8, 2016. See Dkt. No. 117. The Parties have been diligently conducting expert discovery and arranged for one final deposition for Defendants' rebuttal expert Michael Hackett on J
Summary: SECOND JOINT STIPULATION EXTENDING EXPERT DISCOVERY CUT-OFF; [PROPOSED] ORDER EDWARD M. CHEN , District Judge . The Parties to this action hereby agree to the following and seek an order extending expert discovery by an additional three (3) days. The current deadline to complete expert discovery is January 8, 2016. See Dkt. No. 117. The Parties have been diligently conducting expert discovery and arranged for one final deposition for Defendants' rebuttal expert Michael Hackett on Ja..
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SECOND JOINT STIPULATION EXTENDING EXPERT DISCOVERY CUT-OFF; [PROPOSED] ORDER
EDWARD M. CHEN, District Judge.
The Parties to this action hereby agree to the following and seek an order extending expert discovery by an additional three (3) days.
The current deadline to complete expert discovery is January 8, 2016. See Dkt. No. 117. The Parties have been diligently conducting expert discovery and arranged for one final deposition for Defendants' rebuttal expert Michael Hackett on January 7, 2016. Unfortunately, Mr. Hackett has informed Defendants that he is dealing with a family medical crisis and will be unavailable the week of January 7. However, Mr. Hackett has represented to Defendants that he will be available the following week on Monday January 11, 2016.
Accordingly, the parties seek a three (3) day extension of expert discovery to January 11, 2016. This three-day extension of expert discovery will not affect any of the other current deadlines in this case.
I, Brian C. Ward, am the ECF user whose user ID and password are being used to file this Stipulation. In accordance with Local Rule 5-1(i)(3), I hereby attest that the other signatories listed here have concurred in the filing of this document.
[PROPOSED] ORDER
PURSUANT TO STIPULATION, IT IS SO ORDERED.
Source: Leagle