Filed: May 21, 2019
Latest Update: May 21, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME TO FILE JOINT PROPOSED DISCOVERY PROTECTIVE ORDER DEBORAH BARNES , Magistrate Judge . TO THE CLERK OF THE ABOVE-ENTITLED COURT: WHEREAS, per the Court's April 26, 2019 Status (Pretrial Scheduling) Order, the parties were to meet and confer and file a joint proposed discovery protective order within fourteen (14) days of the scheduling conference which was held on April 11, 2019. WHEREAS, per the Court's April 26, 2019 Status (Pretrial Scheduling) Order
Summary: STIPULATION AND ORDER TO EXTEND TIME TO FILE JOINT PROPOSED DISCOVERY PROTECTIVE ORDER DEBORAH BARNES , Magistrate Judge . TO THE CLERK OF THE ABOVE-ENTITLED COURT: WHEREAS, per the Court's April 26, 2019 Status (Pretrial Scheduling) Order, the parties were to meet and confer and file a joint proposed discovery protective order within fourteen (14) days of the scheduling conference which was held on April 11, 2019. WHEREAS, per the Court's April 26, 2019 Status (Pretrial Scheduling) Order,..
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STIPULATION AND ORDER TO EXTEND TIME TO FILE JOINT PROPOSED DISCOVERY PROTECTIVE ORDER
DEBORAH BARNES, Magistrate Judge.
TO THE CLERK OF THE ABOVE-ENTITLED COURT:
WHEREAS, per the Court's April 26, 2019 Status (Pretrial Scheduling) Order, the parties were to meet and confer and file a joint proposed discovery protective order within fourteen (14) days of the scheduling conference which was held on April 11, 2019.
WHEREAS, per the Court's April 26, 2019 Status (Pretrial Scheduling) Order, the parties shall complete all discovery by September 29, 2019.
WHEREAS April 25, 2019 was the original deadline for parties to file a joint proposed discovery protective order, the parties seek the Court's approval of Plaintiffs ROGER ABBOTT's and KIMBERLEE ABBOTT's and Defendant STATE FARM GENERAL INSURANCE COMPANY's stipulation to extend the time to file a joint proposed discovery protective order because the parties need additional time to meet and confer and agree as joint proposed discovery protective order, because of pre-planned travel and trial schedules that has necessitated the parties needing additional time to finalize the joint proposed discovery protective order.
WHEREAS, the parties do not anticipate this stipulation does not modify or otherwise prohibit the parties from complying with the deadlines set forth by the Court in its April 26, 2019 Status (Pretrial Scheduling) Order.
IT IS HEREBY STIPULATED by and between Plaintiffs ROGER ABBOTT and KIMBERLEE ABBOTT and Defendant STATE FARM GENERAL INSURANCE COMPANY, by and through their respective attorneys of record, that Plaintiffs and Defendant shall have up to and including May 21, 2019 to file and serve their joint proposed discovery protective order.
All signatories to this Stipulation, and on whose behalf the filing is submitted, concur in the Stipulation's content and have authorized its filing.
IT IS SO STIPULATED.
Dated: May 17, 2019 ROPERS, MAJESKI, KOHN & BENTLEY
By: /s/Alexandria C. Carraher
TODD A. ROBERTS
ALEXANDRIA C. CARRAHER
Attorneys for Defendant
STATE FARM GENERAL
INSURANCE COMPANY
Dated: May 17, 2019 By: /s/Tonna Farrar
TONNA FARRAR
EVANGELINE F. GROSSMAN
Attorneys for Plaintiffs
ROGER ABBOTT and KIMBERLEE
ABBOTT
ORDER
Pursuant to the parties' stipulation, IT IS SO ORDERED.