Filed: Aug. 22, 2019
Latest Update: Aug. 22, 2019
Summary: STIPULATION TO MODIFY THE SCHEDULING ORDER [DKT. NO. 36]; [ PROPOSED ]ORDER THEREON (Doc. 36) JENNIFER L. THURSTON , Magistrate Judge . RECITALS 1. WHEREAS, on May 30, 2018 this Court issued its Scheduling Order [Dkt. No. 36]. 2. WHEREAS, on May 16, 2019 the Parties filed a Stipulation to Modify the Scheduling Order [Dkt. No. 39] to extend the time for expert disclosures and expert discovery cutoff and the Court issued an Order granting same on May 17, 2019 [Dkt. No. 40]. 3. WHEREAS
Summary: STIPULATION TO MODIFY THE SCHEDULING ORDER [DKT. NO. 36]; [ PROPOSED ]ORDER THEREON (Doc. 36) JENNIFER L. THURSTON , Magistrate Judge . RECITALS 1. WHEREAS, on May 30, 2018 this Court issued its Scheduling Order [Dkt. No. 36]. 2. WHEREAS, on May 16, 2019 the Parties filed a Stipulation to Modify the Scheduling Order [Dkt. No. 39] to extend the time for expert disclosures and expert discovery cutoff and the Court issued an Order granting same on May 17, 2019 [Dkt. No. 40]. 3. WHEREAS,..
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STIPULATION TO MODIFY THE SCHEDULING ORDER [DKT. NO. 36]; [PROPOSED]ORDER THEREON
(Doc. 36)
JENNIFER L. THURSTON, Magistrate Judge.
RECITALS
1. WHEREAS, on May 30, 2018 this Court issued its Scheduling Order [Dkt. No. 36].
2. WHEREAS, on May 16, 2019 the Parties filed a Stipulation to Modify the Scheduling Order [Dkt. No. 39] to extend the time for expert disclosures and expert discovery cutoff and the Court issued an Order granting same on May 17, 2019 [Dkt. No. 40].
3. WHEREAS, due to the number of expert witnesses in this catastrophic injury case who are dependent on one another in terms of their analysis and given the volume of materials and complicated facts of the case, the Parties require additional time to prepare their expert disclosures and conduct expert discovery and request that the deadlines be extended by three weeks as set forth in the below Stipulation.
4. WHEREAS, the requested extension will not in any way affect the Pretrial Conference date of December 16, 2019, or the Trial date of February 10, 2020.
STIPULATION
IT IS HEREBY STIPULATED by and between the Parties hereto through their respective attorneys of record that the following deadlines be continued as follows:
Deadline CurrentDate RequestedDate
Non-Dispositive Motions August 27, 2019 September 17, 2019
Expert Disclosures August 28, 2019 September 18, 2019
Hearing on Non-Dispositive Motions September 24, 2019 October 15, 2019
Rebuttal Expert Disclosures September 30, 2019 October 21, 2019
Dispositive Motions October 7, 2019 October 28, 2019
Expert Discovery Cutoff October 14, 2019 November 4, 2019
Hearing on Dispositive Motions November 18, 2019 December 13, 2019
MARDEROSIAN & COHEN
/s/ Michael G. Marderosian
By:______________________________
Michael G. Marderosian,
Attorneys for Defendants
Dated: August 22, 2019.
LAW OFFICES OF DALE K. GALIPO
/s/Dale K. Galipo
By:______________________________
Dale K. Galipo,
Attorneys for Plaintiff
Dated: August 22, 2019.
CHAIN COHN STILES
/s/David K. Cohn
By:______________________________
David K. Cohn,
Attorneys for Plaintiff
IT IS SO ORDERED.