Filed: Sep. 17, 2019
Latest Update: Sep. 17, 2019
Summary: STIPULATED MOTION AND ORDER TO EXTEND DISCOVERY COMPLETION DATE JAMES L. ROBART , District Judge . BY STIPULATION AND AGREEMENT, the Plaintiffs and the Defendants, by and through their respective counsel of record, request the Court grant the following relief: 1. Extend the discovery completion date from September 16, 2019, the date established by the Court's Minute Order Setting Trial Dates and Related Dates (Minute Order 10/03/2018, Dkt. #102, to October 11, 2019, solely as to the deposi
Summary: STIPULATED MOTION AND ORDER TO EXTEND DISCOVERY COMPLETION DATE JAMES L. ROBART , District Judge . BY STIPULATION AND AGREEMENT, the Plaintiffs and the Defendants, by and through their respective counsel of record, request the Court grant the following relief: 1. Extend the discovery completion date from September 16, 2019, the date established by the Court's Minute Order Setting Trial Dates and Related Dates (Minute Order 10/03/2018, Dkt. #102, to October 11, 2019, solely as to the deposit..
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STIPULATED MOTION AND ORDER TO EXTEND DISCOVERY COMPLETION DATE
JAMES L. ROBART, District Judge.
BY STIPULATION AND AGREEMENT, the Plaintiffs and the Defendants, by and through their respective counsel of record, request the Court grant the following relief:
1. Extend the discovery completion date from September 16, 2019, the date established by the Court's Minute Order Setting Trial Dates and Related Dates (Minute Order 10/03/2018, Dkt. #102, to October 11, 2019, solely as to the depositions identified below.
2. The requested extension will allow the parties to complete depositions that were properly noted prior to the discovery completion date but which have not yet been able to be completed as a result of scheduling issues, including and limited to: the deposition of plaintiff Susan Chen, which had to be continued due to an emergency requiring her return to China; and the completion of the Rule 30(b)(6) deposition of Defendant DSHS for which the scheduling of witnesses on four topics is in progress.
3. The parties do not believe the requested extension will interfere with any of the other dates established by the Court's Minute Order of October 3, 2018.
ROBERT W. FERGUSON DORSEY & WHITNEY LLP
Attorney General
s/ Scott M. Barbara s/ Shawn Larsen-Bright
SCOTT M. BARBARA, WSBA #20885 SHAWN LARSEN-BRIGHT, WSBA #37066
Assistant Attorney General Attorneys for Plaintiffs Chen and J.L.
Attorneys for State Defendants 701 Fifth Ave, Ste 6100
800 Fifth Ave, Ste 2000 Seattle, WA 98104
Seattle, WA 98104 Tel: 206-903-8800
Tel: 206-389-2033 Email: larsen.bright.shawn@dorsey.com
Email: scott.barbara@atg.wa.gov
OGDEN MURPHY WALLACE, PLLC MYERS & COMPANY, P.L.L.C.
s/ Aaron P. Riensche s/ Michael D. Myers
AARON P. RIENSCHE, WSBA #37202 MICHAEL DAVID MYERS, WSBA #22468
Attorneys for Redmond Defendants Attorneys for Plaintiffs Lian and L.L.
901 Fifth Ave, Ste 3500 1530 Eastlake Ave E
Seattle, WA 98164 Seattle, WA 98102
Tel: 206-447-7000 Tel: 106-398-1188
Email: ariensche@omwlaw.com Email: mmyers@myers-company.com
ORDER
IT IS SO ORDERED.