Filed: Mar. 01, 2018
Latest Update: Mar. 01, 2018
Summary: STIPULATION AND [PROPOSED] ORDER TO CONTINUE TRIAL AND ALL RELATED DATES JON S. TIGAR , District Judge . To the Honorable Court: The parties to this action, as well as the parties to the related case of State Farm General Insurance Company v. Amazon.com, Inc. (Case No. 3:18-cv-00624-1 MEJ), hereby stipulate and request as follows: 1. The parties to this action have been working diligently and cooperatively to complete discovery and prepare for trial. 2. On February 6, 2018, this
Summary: STIPULATION AND [PROPOSED] ORDER TO CONTINUE TRIAL AND ALL RELATED DATES JON S. TIGAR , District Judge . To the Honorable Court: The parties to this action, as well as the parties to the related case of State Farm General Insurance Company v. Amazon.com, Inc. (Case No. 3:18-cv-00624-1 MEJ), hereby stipulate and request as follows: 1. The parties to this action have been working diligently and cooperatively to complete discovery and prepare for trial. 2. On February 6, 2018, this C..
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STIPULATION AND [PROPOSED] ORDER TO CONTINUE TRIAL AND ALL RELATED DATES
JON S. TIGAR, District Judge.
To the Honorable Court:
The parties to this action, as well as the parties to the related case of State Farm General Insurance Company v. Amazon.com, Inc. (Case No. 3:18-cv-00624-1 MEJ), hereby stipulate and request as follows:
1. The parties to this action have been working diligently and cooperatively to complete discovery and prepare for trial.
2. On February 6, 2018, this Court found that the above-mentioned State Farm case was related to the instant case because the actions concern substantially the same parties, property and accident.
3. Continuing the trial date and all related dates would enable all parties to streamline and coordinate the discovery process, and would allow State Farm an adequate period of time conduct discovery prior to trial.1
4. Accordingly, the parties request the following dates be continued pursuant to the proposed deadlines outlined below:
Event Current Deadline Proposed Deadline
Fact discovery cutoff March 30, 2018 October 30, 2018
Deadline to file
dispositive motions March 30, 2018 October 30, 2018
Expert disclosures April 13, 2018 November 13, 2018
Expert rebuttal April 30, 2018 November 30, 2018
Expert discovery cutoff May 18, 2018 December 18, 2018
Pretrial conference July 10, 2018 February 11, 2019
statement date
Pretrial conference July 20, 2018 at 2:00 p.m. February 20, 2019 at 2:00 p.m.
Trial July 30, 2018 at 8:30 a.m. March 4, 2019 at 8:30 a.m.
SO STIPULATED.
ATTORNEY ATTESTATION
I, VALERIE N. ROSE, attest that concurrence in the filing of this document has been obtained from any signatures indicated by a "conformed" signature (/s/) within this e-filed document. I declare under penalty of perjury that the foregoing is true and correct.
________________
VALERIE N. ROSE
[PROPOSED] ORDER
Having considered the stipulated request of the parties, the Court orders as follows:
1. Good cause having been shown, and in light of the stipulation of the parties, the trial date of July 30, 2018 and all related dates are hereby vacated.
2. The Court hereby sets the following case deadlines:
Event Deadline
Fact discovery cutoff October 30, 2018
Deadline to file dispositive motions October 30, 2018
Expert disclosures November 13, 2018
Expert rebuttal November 30, 2018
Expert discovery cutoff December 18, 2018
Pretrial conference statement date February 11, 2019
Pretrial conference February 20,22, 2019 at 2:00 p.m.
Trial March 4, 2019 at 8:30 a.m
IT IS SO ORDERED.