Velez v. City of Sacramento, 2:18-cv-01914-MCE-CKD. (2020)
Court: District Court, E.D. California
Number: infdco20200113877
Visitors: 22
Filed: Jan. 10, 2020
Latest Update: Jan. 10, 2020
Summary: STIPULATION AND ORDER TO EXTEND DISCOVERY CUT-OFF MORRISON C. ENGLAND, JR. , District Judge . TO: THE HONORABLE MAGISTRATE JUDGE CAROLYN K. DELANEY IT IS HEREBY STIPULATED between the parties, by and through their respective counsel of record that the discovery cut-off be extended. The parties are in the process of meeting and conferring on discovery issues and need additional time to complete discovery. In addition, Plaintiff is undergoing further medical treatment that may have bearing
Summary: STIPULATION AND ORDER TO EXTEND DISCOVERY CUT-OFF MORRISON C. ENGLAND, JR. , District Judge . TO: THE HONORABLE MAGISTRATE JUDGE CAROLYN K. DELANEY IT IS HEREBY STIPULATED between the parties, by and through their respective counsel of record that the discovery cut-off be extended. The parties are in the process of meeting and conferring on discovery issues and need additional time to complete discovery. In addition, Plaintiff is undergoing further medical treatment that may have bearing o..
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STIPULATION AND ORDER TO EXTEND DISCOVERY CUT-OFF
MORRISON C. ENGLAND, JR., District Judge.
TO: THE HONORABLE MAGISTRATE JUDGE CAROLYN K. DELANEY
IT IS HEREBY STIPULATED between the parties, by and through their respective counsel of record that the discovery cut-off be extended.
The parties are in the process of meeting and conferring on discovery issues and need additional time to complete discovery. In addition, Plaintiff is undergoing further medical treatment that may have bearing on discovery and how the parties proceed with the case. Finally, the parties have had some initial discussion in regard to potential settlement.
It is stipulated between the parties, that the following cutoff dates be set:
FACT DISCOVERY CUT-OFF: June 15, 2020
EXPERT WITNESS DESIGNATION: August 17, 2020
DATED: January 6, 2020 SUSANA ALCALA WOOD,
City Attorney
By: /s/
SEAN D. RICHMOND
Senior Deputy City Attorney
Attorneys for the CITY OF
SACRAMENTO, JOHN HARSHBARGER,
AND DANIEL FARNSWORTH
DATED: January 6, 2020 LAW OFFICE OF STEWART KATZ
By: /s/
STEWART KATZ
Attorneys for Plaintiff, KRISTOPHER VELEZ
DATED: January 6, 2020 LEWIS BRISBOIS BISGAARD & SMITH LLP
By: /s/
ANDREW BLUTH
Attorneys for BAIL HOTLINE BAIL BONDS,
INC., AMERICAN SURETY COMPANY
I, Sean D. Richmond, certify that I have permission to affix the signatures of Stewart Katz and Andrew Bluth to this document by email permission.
ORDER
Based on the stipulation of the parties to this action, and good cause appearing therefore, IT IS HEREBY ORDERED that:
1. Fact Discovery Cut-Off be extended to June 15, 2020; and
2. Expert Witness Designation be extended to August 17, 2020.
IT IS SO ORDERED.
Source: Leagle