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GUTIERREZ v. KENNETH COLE PRODUCTIONS, INC., : 3:15-CV-00129-WHA. (2015)

Court: District Court, N.D. California Number: infdco20151201990 Visitors: 6
Filed: Nov. 30, 2015
Latest Update: Nov. 30, 2015
Summary: [PROPOSED] ORDER RE JOINT STIPULATION ALLOWING PLAINTIFF TO PROPOUND ADDITIONAL INTERROGATORIES [Filed Concurrently with Joint Stipulation] WILLIAM H. ALSUP , District Judge . Upon consideration of the stipulation of the parties and good cause appearing therefore, it is hereby ordered that: 1. Plaintiff be allowed to propound the following proposed interrogatories: INTERROGATORY NO. 26. Explain fully ALL facts upon which YOU base YOUR First Affirmative Defense as set forth in YOUR A
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[PROPOSED] ORDER RE JOINT STIPULATION ALLOWING PLAINTIFF TO PROPOUND ADDITIONAL INTERROGATORIES

[Filed Concurrently with Joint Stipulation]

Upon consideration of the stipulation of the parties and good cause appearing therefore, it is hereby ordered that:

1. Plaintiff be allowed to propound the following proposed interrogatories:

INTERROGATORY NO. 26.

Explain fully ALL facts upon which YOU base YOUR First Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 27.

Explain fully ALL facts upon which YOU base YOUR Seventh Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 28.

Explain fully ALL facts upon which YOU base YOUR Ninth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 29.

Explain fully ALL facts upon which YOU base YOUR Tenth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 30.

Explain fully ALL facts upon which YOU base YOUR Eleventh Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 31.

Explain fully ALL facts upon which YOU base YOUR Nineteenth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 32.

Explain fully ALL facts upon which YOU base YOUR Twentieth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 33.

Explain fully ALL facts upon which YOU base YOUR Twenty-Third Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 34.

Explain fully ALL facts upon which YOU base YOUR Thirtieth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 35.

Explain fully ALL facts upon which YOU base YOUR Thirty-First Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 36.

Explain fully ALL facts upon which YOU base YOUR Thirty-Third Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 37.

Explain fully ALL facts upon which YOU base YOUR Thirty-Fourth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 38.

Explain fully ALL facts upon which YOU base YOUR Thirty-Sixth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

INTERROGATORY NO. 39.

Explain fully ALL facts upon which YOU base YOUR Thirty-Eighth Affirmative Defense as set forth in YOUR Answer to the COMPLAINT in this case.

IT IS SO ORDERED.

Source:  Leagle

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