Opinion
Warren R. Paboojian, Calif. Adam B. Stirrup, Calif. BARADAT & PABOOJIAN, INC. Fresno, CA Attorneys for: Plaintiff Steven Arizaga.
Mark D. Sayre, Calif. Henry Turner, Jr. (pro hac) VALOREM LAW GROUP LLP, Chicago, IL Attorneys for: Defendant John Bean Technologies Corporation.
Meena C. Nachiappan, Calif. BRAGG & KULUVA Los Angeles, CA Attorney for: Third Party Defendant Ventura Coastal, LLC
STIPULATION RE: CONTINUATION OF DISCOVERY DEADLINES; ORDER
MICHAEL J. SENG, Magistrate Judge.
Plaintiff Steven Arizaga, Defendant John Bean Technologies Corporation, and Third-Party Defendant Ventura Coastal LLC agree and stipulate as follows:
1. The parties have agreed to continue all dates as set forth below, subject to the Court's calendar.
• Plaintiff Expert Disclosure Deadline: January 15, 2016
• Non-Expert Discovery Deadline: February 5, 2016
• Defendant Expert Disclosure Deadline: February 12, 2016
• Rebuttal Expert Disclosure Deadline: February 19, 2016
• Non-Dispositive Motion Deadline: March 17, 2016
• Expert Discovery Deadline: March 18, 2016
2. The parties agree and stipulate that all other pre-trial and trial dates and deadlines shall remain in place, per the Court's April 8, 2015 Order (Dkt No. 37).
3. The parties met and conferred in-person on September 11, 2015 and via email on September 22, 2015 and October 5, 2015, and by phone on October 6, 2015, and agree that a scheduling conference before the Court is not necessary at this time.
4. By agreement, this stipulation may be executed in counterparts and via email/facsimile, which when assembled shall be deemed one original document.
IT IS SO STIPULATED.
ORDER
Pursuant to Plaintiff Steven Arizaga, Defendant John Bean Technologies Corporation, and Third-Party Defendant Ventura Coastal LLC's Stipulation and for good cause shown, the above Stipulation in case 1:13-cv-1981-AWI-MJS is hereby accepted, adopted and made the Order of the Court.
IT IS SO ORDERED.