Kemper Independence Insurance Company v. Haier US Appliance Solutions, Inc., 2:19-cv-01746-MCE-KJN. (2019)
Court: District Court, E.D. California
Number: infdco20191106a60
Visitors: 50
Filed: Nov. 04, 2019
Latest Update: Nov. 04, 2019
Summary: STIPULATION AND ORDER RE JOINT DISCOVERY PLAN PURSUANT TO FRCP 26(f)(2) MORRISON C. ENGLAND, JR. , District Judge . WHEREAS, on October 16, 2019, counsel for Defendant Haier US Appliance Solutions, Inc. and Plaintiff Kemper Independence Insurance Company met and conferred pursuant to Federal Rule of Civil Procedure 26(f)(2) and agreed on a written discovery plan. WHEREAS, the parties believe that shortening the fact discovery period from the 365-day period set forth in the initial pretrial
Summary: STIPULATION AND ORDER RE JOINT DISCOVERY PLAN PURSUANT TO FRCP 26(f)(2) MORRISON C. ENGLAND, JR. , District Judge . WHEREAS, on October 16, 2019, counsel for Defendant Haier US Appliance Solutions, Inc. and Plaintiff Kemper Independence Insurance Company met and conferred pursuant to Federal Rule of Civil Procedure 26(f)(2) and agreed on a written discovery plan. WHEREAS, the parties believe that shortening the fact discovery period from the 365-day period set forth in the initial pretrial ..
More
STIPULATION AND ORDER RE JOINT DISCOVERY PLAN PURSUANT TO FRCP 26(f)(2)
MORRISON C. ENGLAND, JR., District Judge.
WHEREAS, on October 16, 2019, counsel for Defendant Haier US Appliance Solutions, Inc. and Plaintiff Kemper Independence Insurance Company met and conferred pursuant to Federal Rule of Civil Procedure 26(f)(2) and agreed on a written discovery plan.
WHEREAS, the parties believe that shortening the fact discovery period from the 365-day period set forth in the initial pretrial scheduling order to six months from the date of this report will lead to efficient and effective resolution of this matter;
The following deadlines are hereby STIPULATED AND AGREED to, by and between Defendants and Plaintiff:
Deadline to Complete Non-Expert Discovery. April 30, 2020
Expert Witness Disclosures. June 29, 2020.
Supplemental Expert Disclosures. July 29, 2020.
Deadline to Complete Expert Discovery. September 9, 2020.
SO STIPULATED:
Dated: October 30, 2019 GLYNN & FINLEY, LLP
JAMES M. HANLON, JR.
MORGAN K. LOPEZ
One Walnut Creek Center
100 Pringle Avenue, Suite 500
Walnut Creek, CA 94596
By /s/ James M. Hanlon, Jr.
Attorneys for Defendant
Haier US Appliance Solutions, Inc.
Dated: October 30, 2019 COZEN O'CONNOR
PETER A. LYNCH
501 West Broadway, Suite 1610
San Diego, CA 92101
By /s/ Peter A. Lynch
Attorney for Plaintiffs
Kemper Independent Ins. Co.
ORDER
Having read and considered the parties' stipulation regarding their joint discovery plan,
IT IS ORDERED THAT:
The Court sets the following discovery deadlines:
Matter Deadline
Non-Expert Discovery April 30, 2020
Expert Witness Disclosures June 29, 2020
Supplemental Expert Disclosures July 29, 2020
Expert Discovery Sept. 9, 2020
IT IS SO ORDERED.
Source: Leagle