Ravlin v. Boston Scientific Corporation, 2:19-cv-00773-AWI-SAB. (2019)
Court: District Court, E.D. California
Number: infdco20190807787
Visitors: 8
Filed: Aug. 06, 2019
Latest Update: Aug. 06, 2019
Summary: JOINT DISCOVERY STIPULATION AND ORDER THEREON ANTHONY W. ISHII , Senior District Judge . Plaintiff Michelle Ravlin and defendant Boston Scientific Corporation, by and through their respective attorneys, hereby agree and stipulate as follows: 1. Additional fact discovery should be permitted, as the proposed discovery involves issues fundamental to the case, will expedite trial proceedings, and promote judicial and party efficiency. The parties have agreed upon the following supplemental dis
Summary: JOINT DISCOVERY STIPULATION AND ORDER THEREON ANTHONY W. ISHII , Senior District Judge . Plaintiff Michelle Ravlin and defendant Boston Scientific Corporation, by and through their respective attorneys, hereby agree and stipulate as follows: 1. Additional fact discovery should be permitted, as the proposed discovery involves issues fundamental to the case, will expedite trial proceedings, and promote judicial and party efficiency. The parties have agreed upon the following supplemental disc..
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JOINT DISCOVERY STIPULATION AND ORDER THEREON
ANTHONY W. ISHII, Senior District Judge.
Plaintiff Michelle Ravlin and defendant Boston Scientific Corporation, by and through their respective attorneys, hereby agree and stipulate as follows:
1. Additional fact discovery should be permitted, as the proposed discovery involves issues fundamental to the case, will expedite trial proceedings, and promote judicial and party efficiency. The parties have agreed upon the following supplemental discovery:
• Collection of updated medical records
• Deposition of Dr. Richard C. Zacker
2. The supplemental discovery shall be completed by November 22, 2019. Any discovery-related motions shall also be filed by November 22, 2019.
3. The parties agree that the opening of fact discovery is expressly limited in scope and time as outlined above.
IT IS SO STIPULATED.
Respectfully submitted,
Dated: July 3, 2019 SHOOK, HARDY & BACON L.L.P.
By: /s/Matthew J. Vanis
Eva M. Weiler
Matthew J. Vanis
Attorneys for Defendant
Boston Scientific Corporation
Dated: July 3, 2019 Respectfully submitted,
MARLIN SALTZMAN L.L.P.
By: /s/Alan S. Lazar
(as authorized on July 2, 2019)
Alan S. Lazar
Bradley R. Fagnani
Attorneys for Plaintiff Michelle Ravlin
IT IS SO ORDERED.
Source: Leagle