Opinion
Case No. 2:11-CV-00349-MCE-GGH
03-06-2013
KIRANJEET BADYAL, et al, Plaintiffs, v. BOSCH PACKAGING TECHNOLOGY, INC., et al, Defendants. SIEMENS CORPORATION, et al., Plaintiffs v. KULMAN TECHNOLOGIES, INC., et al., Defendants.
C. Brooks Cutter, SBN 121407 Kerrie D. Webb, SBN 211444 Phillip A. Cooke, SBN 37115 Attorneys for Plaintiffs, KIRANJEET BADYAL and DILAWAR BADYAL DYKEMA GOSSETT LLP Dommond E. Lonnie, SBN 142662 Attorneys for Defendant, ROBERT BOSCH PACKAGING TECHNOLOGY, INC. CLAUSEN MILLER, P.C. Jay D. Harker, SBN 167063 Attorneys for Siemens Corporation, Siemens Healthcare Diagnostics, Inc. and Steadfast Insurance Company as a subrogee of Siemens Corporation and Siemens Healthcare Diagnostics, Inc.
KERSHAW, CUTTER & RATINOFF, LLP
C. BROOKS CUTTER, 121407
KERRIE D. WEBB, 211444
401 Watt Avenue
Sacramento, California 95864
Telephone: (916) 448-9800
Facsimile: (916) 669-4499
E-mail: bcutter@kcrlegal.com
LAW OFFICES OF PHILLIP A. COOKE
PHILLIP A. COOKE, 37115
1215 Plumas Street, Suite 1800
Yuba City, CA 95991
Telephone: (530) 671-1100
Facsimile: (530) 671-1461
E-mail: cag@syix.com
Attorneys for Plaintiffs
[Consolidated with 2:12-CV-01894-MCE-JFM]
STIPULATION TO VACATE TRIAL DATE
AND RELATED DATES AND DISCOVERY
DEADLINES; ORDER
THE PARTIES HEREBY STIPULATE, by and through their counsel of record, that the trial date of January 6, 2014, and all related dates and discovery deadlines should be vacated, pending the appearance of the foreign defendants, SCHOELLER-BLECKMAN MEDIZINTECHNIK (SBM), and ROBERT BOSCH GmbH.
The plaintiffs in these consolidated cases are still in the process of serving the foreign defendants in this matter, pursuant to requirements for international service of process, and expect that it will take an additional six months or more to go through the process. Given the amount of time this process is taking, the parties have recognized that the trial date and related deadlines cannot work.
The parties agree that the trial date and related deadlines should be coordinated and set once all defendants have appeared.
IT IS FURTHER STIPULATED that this Stipulation may be signed in counterparts and that a signature by facsimile or e-mail shall be deemed counsel's original signature.
KERSHAW, CUTTER & RATINOFF, LLP
By: _________________
C. Brooks Cutter, SBN 121407
Kerrie D. Webb, SBN 211444
Phillip A. Cooke, SBN 37115
Attorneys for Plaintiffs,
KIRANJEET BADYAL and DILAWAR
BADYAL
DYKEMA GOSSETT LLP
By: _________________
Dommond E. Lonnie, SBN 142662
Attorneys for Defendant,
ROBERT BOSCH PACKAGING
TECHNOLOGY, INC.
CLAUSEN MILLER, P.C.
By: _________________
Jay D. Harker, SBN 167063
Attorneys for Siemens Corporation, Siemens
Healthcare Diagnostics, Inc. and Steadfast
Insurance Company as a subrogee of Siemens
Corporation and Siemens Healthcare
Diagnostics, Inc.
ORDER
Based on the parties' stipulation and good cause appearing, that the trial date of January 6, 2014, and all related dates and discovery deadlines are vacated, pending the appearance of the foreign defendants, SCHOELLER-BLECKMAN MEDIZINTECHNIK (SBM), and ROBERT BOSCH GmbH. All dates set forth in the May 2, 2012 Pretrial Scheduling Order (ECF No. 23) are vacated. The parties are ordered to file a Joint Status Report two weeks after the appearance of the foreign defendants, and a new Pretrial Scheduling Order will issue after the parties file a Joint Status Report.
IT IS SO ORDERED.
_________________
MORRISON C. ENGLAND, JR., CHIEF JUDGE
UNITED STATES DISTRICT JUDGE