Filed: Feb. 02, 2018
Latest Update: Feb. 02, 2018
Summary: STIPULATION TO MODIFY PRE-TRIAL SCHEDULING ORDER (Document 8) AS MODIFIED BY COURT ORDER (DOCUMENT 21) RE (1) EXPERT DISCLOSURE DEADLINE; (2) DISCOVERY CUT-OFF; (3) DISPOSITIVE MOTIONS; AND (4) TRIAL DATE; DECLARATIONS IN SUPPORT THEREOF; ORDER JOHN A. MENDEZ , District Judge . IT IS HEREBY STIPULATED by Plaintiff, ARMANDO RAMOS, by and through his attorneys, and Defendants WILLIAMS UNIFIED SCHOOL DISTRICT and JUDITH ROSSI, by and through their attorneys, stipulate that the deadlines and tr
Summary: STIPULATION TO MODIFY PRE-TRIAL SCHEDULING ORDER (Document 8) AS MODIFIED BY COURT ORDER (DOCUMENT 21) RE (1) EXPERT DISCLOSURE DEADLINE; (2) DISCOVERY CUT-OFF; (3) DISPOSITIVE MOTIONS; AND (4) TRIAL DATE; DECLARATIONS IN SUPPORT THEREOF; ORDER JOHN A. MENDEZ , District Judge . IT IS HEREBY STIPULATED by Plaintiff, ARMANDO RAMOS, by and through his attorneys, and Defendants WILLIAMS UNIFIED SCHOOL DISTRICT and JUDITH ROSSI, by and through their attorneys, stipulate that the deadlines and tri..
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STIPULATION TO MODIFY PRE-TRIAL SCHEDULING ORDER (Document 8) AS MODIFIED BY COURT ORDER (DOCUMENT 21) RE (1) EXPERT DISCLOSURE DEADLINE; (2) DISCOVERY CUT-OFF; (3) DISPOSITIVE MOTIONS; AND (4) TRIAL DATE; DECLARATIONS IN SUPPORT THEREOF; ORDER
JOHN A. MENDEZ, District Judge.
IT IS HEREBY STIPULATED by Plaintiff, ARMANDO RAMOS, by and through his attorneys, and Defendants WILLIAMS UNIFIED SCHOOL DISTRICT and JUDITH ROSSI, by and through their attorneys, stipulate that the deadlines and trial date set forth in the Court's Pre-Trial Scheduling Oder as modified by the Court's December 19, 2017, Order (Document 21) be continued to:
1. Expert Disclosure: 5/4/18;
2. Supplemental Expert Disclosure: 5/18/18;
3. Discovery Cut-off: 7/6/18;
4. Dispositive Motion Filing: 7/10/18;
5. Dispositive Motion Hearing: 8/7/18 @ 1:30 p.m.
6. Joint Pretrial Statement: 9/21/18;
7. Pretrial Conference: 9/28/18 @ 10 a.m.; and
8. Jury Trial: 11/5/18 @ 9 a.m.
The parties submit that good cause exists to modify the court's Pre-Trial Scheduling Order, as modified, as set forth above.
IT IS SO STIPULATED.
DECLARATION OF ERIC GARNER
I, Eric Garner, do hereby declare and say the following:
1. I am one of the attorneys of record for the Defendants in the above-entitled action. I have prepared this Declaration as evidence in support of the parties' stipulation and request to this Court to modify the Pre-Trial Scheduling order in this case. Good cause exists to do so.
I declare under penalty of perjury under the laws of the United States of America that the facts stated above in the stipulation of the parties is true and correct. This Declaration was executed on February 2, 2018 in Sacramento, California.
/s/ Eric Garner
_____________________________
DECLARATION OF JILL TELFER
I, Jill Telfer, do hereby declare and say the following:
1. I am the attorney of record for Plaintiff in the above-entitled action. I have prepared this Declaration as evidence in support of the parties' stipulation and request to this Court to modify the Pre-Trial Scheduling order in this case. Good cause exists to do so.
I declare under penalty of perjury under the laws of the United States of America that the facts stated above in the stipulation of the parties is true and correct. This Declaration was executed on February 2, 2018 in Sacramento, California.
/s/Jill Telfer
_____________________________
ORDER
Based upon the stipulation of the parties and good cause appearing, the Court orders that the Pre-Trial Scheduling Order is hereby modified as follows:
1. Expert Disclosure: 5/4/18;
2. Supplemental Expert Disclosure: 5/18/18;
3. Discovery Cut-off: 7/6/18
4. Dispositive Motion Filing: 7/10/18;
5. Dispositive Motion Hearing: 8/7/18 @ 1:30 p.m.
6. Joint Pretrial Statement: 9/21/18;
7. Pretrial Conference: 9/28/18 @ 10 a.m.; and
8. Jury Trial: 11/5/18 @ 9 a.m.
IT IS SO ORDERED.