Filed: Nov. 27, 2019
Latest Update: Nov. 27, 2019
Summary: STIPULATION AND AGREED ORDER CONTINUING INITIAL DISCLOSURES AND JOINT STATUS REPORT DATES MICHELLE L. PETERSON , Magistrate Judge . Plaintiff Human & Joy Corporation and Defendants Seattle Office of Labor Standards, the City of Seattle, Margaret Weihs, and Cindi Williams stipulate and jointly move the Court for an order adjusting dates as currently set forth in the Court's Order Regarding Initial Disclosures, Joint Status Report, and Early Settlement dated October 29, 2019 (the "Initial Ord
Summary: STIPULATION AND AGREED ORDER CONTINUING INITIAL DISCLOSURES AND JOINT STATUS REPORT DATES MICHELLE L. PETERSON , Magistrate Judge . Plaintiff Human & Joy Corporation and Defendants Seattle Office of Labor Standards, the City of Seattle, Margaret Weihs, and Cindi Williams stipulate and jointly move the Court for an order adjusting dates as currently set forth in the Court's Order Regarding Initial Disclosures, Joint Status Report, and Early Settlement dated October 29, 2019 (the "Initial Orde..
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STIPULATION AND AGREED ORDER CONTINUING INITIAL DISCLOSURES AND JOINT STATUS REPORT DATES
MICHELLE L. PETERSON, Magistrate Judge.
Plaintiff Human & Joy Corporation and Defendants Seattle Office of Labor Standards, the City of Seattle, Margaret Weihs, and Cindi Williams stipulate and jointly move the Court for an order adjusting dates as currently set forth in the Court's Order Regarding Initial Disclosures, Joint Status Report, and Early Settlement dated October 29, 2019 (the "Initial Order").
The parties have met and conferred for their required FRCP 26 conference. It is proposed that Initial Disclosures under FRCP 26(a)(1) be due on January 10, 2020; and the Combined Joint Status Report and Discovery Plan under FRCP 26(f) be due on January 17, 2020.
RESPECTFULLY SUBMITTED this 25th day of November, 2019.
s/Daniel A. Brown s/Brian G. Maxey
s/Jessica M. Cox Brian G. Maxey, WSBA #33279
Daniel A. Brown, WSBA #22028 Assistant City Attorney
Jessica M. Cox, WSBA #53027 Seattle City Attorney's Office
WILLIAMS, KASTNER & GIBBS PLLC Civil Division
601 Union Street, Suite 4100 701 Fifth Avenue, Suite 2050
Seattle, WA 98101-2380 Seattle, WA 98104-7097
Tel: (206) 628-6600 Fax: (206) 628-6611 Tel: (206) 684-8207 Fax: (206) 684-8284
dbrown@williamskastner.com; brian.maxey2@seattle.gov
jcox@williamskastner.com
Attorneys for Plaintiff Attorney for Defendants
s/Jessica L. Goldman
Jessica L. Goldman, WSBA #21856
Summit Law Group PLLC
315 Fifth Avenue South, Suite 1000
Seattle, WA 98104
Tel: (206) 676-7000 Fax: (206) 676-7001
Email: jessicag@summitlaw.com
Attorney for Defendants
ORDER
Based upon the foregoing Stipulation, it is hereby
ORDERED that the initial disclosures, joint status report, and early settlement deadline dates be continued to the dates as requested by the parties above.
SO STIPULATED:
Presented by:
s/Daniel A. Brown s/Brian G. Maxey
s/Jessica M. Cox Brian G. Maxey, WSBA #33279
Daniel A. Brown, WSBA #22028 Assistant City Attorney
Jessica M. Cox, WSBA #53027 Seattle City Attorney's Office
WILLIAMS, KASTNER & GIBBS PLLC Civil Division
601 Union Street, Suite 4100 701 Fifth Avenue, Suite 2050
Seattle, WA 98101-2380 Seattle, WA 98104-7097
Tel: (206) 628-6600 Fax: (206) 628-6611 Tel: (206) 684-8207 Fax: (206) 684-8284
dbrown@williamskastner.com; brian.maxey2@seattle.gov
jcox@williamskastner.com
Attorneys for Plaintiff Attorney for Defendants
s/Jessica L. Goldman
Jessica L. Goldman, WSBA #21856
Summit Law Group PLLC
315 Fifth Avenue South, Suite 1000
Seattle, WA 98104
Tel: (206) 676-7000 Fax: (206) 676-7001
Email: jessicag@summitlaw.com
Attorney for Defendants