Filed: Jul. 02, 2018
Latest Update: Jul. 02, 2018
Summary: STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER THEREON (Doc. 20) JENNIFER L. THURSTON , Magistrate Judge . The parties in the above-captioned matter, Plaintiff, LM, by and through his Guardian as Litem, GRISELDA MARTIN ("Plaintiff"), by and through his attorneys of record, J. Miguel Flores of Rodriguez & Associates, and Defendant KERN HIGH SCHOOL DISTRICT ("Defendant") (Plaintiff and Defendant are collectively referred to as the "Parties"), by and through its attorneys of recor
Summary: STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER THEREON (Doc. 20) JENNIFER L. THURSTON , Magistrate Judge . The parties in the above-captioned matter, Plaintiff, LM, by and through his Guardian as Litem, GRISELDA MARTIN ("Plaintiff"), by and through his attorneys of record, J. Miguel Flores of Rodriguez & Associates, and Defendant KERN HIGH SCHOOL DISTRICT ("Defendant") (Plaintiff and Defendant are collectively referred to as the "Parties"), by and through its attorneys of record..
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STIPULATION TO EXTEND DISCOVERY DEADLINES; [PROPOSED] ORDER THEREON (Doc. 20)
JENNIFER L. THURSTON, Magistrate Judge.
The parties in the above-captioned matter, Plaintiff, LM, by and through his Guardian as Litem, GRISELDA MARTIN ("Plaintiff"), by and through his attorneys of record, J. Miguel Flores of Rodriguez & Associates, and Defendant KERN HIGH SCHOOL DISTRICT ("Defendant") (Plaintiff and Defendant are collectively referred to as the "Parties"), by and through its attorneys of record, Daniel T. Clifford and Dennis P. Gallagher, II, of Clifford & Brown, P.C., hereby enter into this Stipulation to Extend Discovery Deadlines, as follows:
RECITALS
WHEREAS the Parties have actively engaged in the discovery process to date, including the exchange of written discovery requests and responses, setting of approximately eight depositions to date, and a request by Defendant to inspect the home of Plaintiff;
WHEREAS the Parties anticipate the need for a significant amount of additional non-expert and expert discovery;
WHEREAS the Parties desire to extend the non-expert and expert discovery deadlines of July 27, 2018 and September 21, 2018, respectively, for approximately two months to allow for such further discovery as the Parties deem appropriate.
STIPULATION
IT IS HEREBY STIPULATED by and between the Parties that the non-expert discovery deadline of July 27, 2018, be and hereby is continued to September 21, 2018.
IT IS FURTHER STIPULATED by and between the Parties that the expert discovery deadline of September 21, 2018, be and hereby is continued to October 9, 2018.
IT IS FURTHER STIPULATED that all other dates and deadlines set by the Court in its Scheduling Order dated November 20, 2017, remain on calendar or may be adjusted by the Court in its discretion.
IT IS FURTHER STIPULATED that this stipulation may be signed in counterparts.
ORDER
Based upon the foregoing, the Court ORDERS1
1. The non-expert discovery deadline of July 27, 2018, be and is continued to September 21, 2018;
2. The expert discovery deadline of September 21, 2018, be and hereby is continued to October 9, 2018.
No other modifications to the case schedule are authorized and the Court anticipates granting no further amendments to the case schedule.
IT IS SO ORDERED.