Angel Productions Worldwide, Inc. v. Airstage by Effeckt-Technik, 2:18-cv-02333-JCM-BNW. (2019)
Court: District Court, D. Nevada
Number: infdco20190620c60
Visitors: 2
Filed: Jun. 18, 2019
Latest Update: Jun. 18, 2019
Summary: JOINT STIPULATED DISCOVERY PLAN AND SCHEDULING ORDER BRENDA WEKSLER , Magistrate Judge . Pursuant to Federal Rule of Civil Procedure 26(f) and Local Rule 26-1(e), Plaintiff Angel Productions Worldwide, Inc. (hereinafter "Plaintiff") and Defendant Airstage by Effeckt-Technik, GMBH (hereinafter "Defendants") submit their Stipulated Discovery Plan and Proposed Scheduling Order. I. CONFERENCE OF COUNSEL Per the Court's order, the parties met and conferred on Tuesday April 30 th , 2019 telepho
Summary: JOINT STIPULATED DISCOVERY PLAN AND SCHEDULING ORDER BRENDA WEKSLER , Magistrate Judge . Pursuant to Federal Rule of Civil Procedure 26(f) and Local Rule 26-1(e), Plaintiff Angel Productions Worldwide, Inc. (hereinafter "Plaintiff") and Defendant Airstage by Effeckt-Technik, GMBH (hereinafter "Defendants") submit their Stipulated Discovery Plan and Proposed Scheduling Order. I. CONFERENCE OF COUNSEL Per the Court's order, the parties met and conferred on Tuesday April 30 th , 2019 telephon..
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JOINT STIPULATED DISCOVERY PLAN AND SCHEDULING ORDER
BRENDA WEKSLER, Magistrate Judge.
Pursuant to Federal Rule of Civil Procedure 26(f) and Local Rule 26-1(e), Plaintiff Angel Productions Worldwide, Inc. (hereinafter "Plaintiff") and Defendant Airstage by Effeckt-Technik, GMBH (hereinafter "Defendants") submit their Stipulated Discovery Plan and Proposed Scheduling Order.
I. CONFERENCE OF COUNSEL
Per the Court's order, the parties met and conferred on Tuesday April 30th, 2019 telephonically and exchanged emails thereafter. In these exchanges, Counsel for the parties limited their disagreements to those contained herein.
II. DISCOVERY PLAN
1. The following dates were set in the Court's April 25th, 2019 order:
a. The parties shall meet and/or confer as required by Fed. R. Civ. P. 26(f) not later than May 9, 2019.
b. Last date to complete discovery: August 23, 2019
c. Last date to amend pleadings and add parties: May 23, 2019
d. Last date to file interim status report: June 24, 2019
e. Last date to disclose experts pursuant to Fed. R. Civ. P. 26(a)(2): June 24, 2019.
f. Last date to disclose rebuttal experts: July 24, 2019
g. Last date to file dispositive motions: September 23, 2019
h. Last date to file joint pretrial order: October 23, 2019. In the event dispositive motions are filed, the date for filing the joint pretrial order shall be suspended until 30 days after a decision of the dispositive motions.
FRCP 26(f)(3) VIEWS AND PROPSALS
1. Initial Disclosures:
Shall be due two weeks from the filing of this discovery plan.
2. Subjects on Which Discovery Will be Needed, Whether Discovery Should be Limited or Conducted in Phases:
Discovery will be necessary regarding the claims and defenses raised in the parties' initial pleadings. The parties do not believe that discovery will need to be limited or conducted in phases.
3. Issues Regarding the Disclosure, Discovery, or Preservation of Electronically Stored Information, Including the Form or Forms in Which it Should be Produced;
None.
4. Issues Regarding Claims of Privilege or Protection of Pre-Trial Materials:
None.
5. Changes That Should be Made in the Limitations on Discovery Imposed Under These Rules or by Local Rule.
None.
6. Orders That the Court Should Issue Under Rule 26(c) or Rule 16(b) and (c):
None.
DATED this 14th day of June 2019. DATED this 14th day of June 2019.
GREENBERG TRAURING, LLP COHEN JOHNSON PARKER EDWARDS
/s/ Christopher Tayback /s/ Kevin Johnson
MARK R. FERRARIO, ESQ. H. STAN JOHNSON, ESQ.
Nevada Bar Number 10153 Nevada Bar Number: 265
ferrariom@gtlaw.com sjohnson@cohenjohnson.com
CHRISTOPHER R. MILTENBERGER, ESQ. KEVIN M. JOHNSON, ESQ.
Nevada Bar Number 10153 Nevada Bar Number: 14551
miltenbergerc@gtlaw.com kjohnson@cohenjohnson.com
10845 Griffith Peak Drive, Suite 600 375 East Warm Springs Road, Suite 104
Las Vegas, NV 89135 Las Vegas, Nevada 89119
Telephone: (702) 792-3773 Telephone: (702) 823-3500
Facsimile: (702) 823-3400
Attorneys for Defendant
CHRISTOPHER TAYBACK, ESQ.
California Bar Number 145532
christayback@quinnemanuel.com
865 South Figueroa Street, 10th Floor
Los Angeles, CA 90017
Telephone: (213) 443-3000
Attorneys for Plaintiff
Admitted Pro Hac Vice
IT IS SO ORDERED.
Source: Leagle