Opinion
Case No.: 2:12-CV-00115-WBS-EFB
01-15-2013
BOLLING & GAWTHROP John P. Coleman Attorneys for County of Mono MINARET LEGAL SERVICES, APC John S. Manzano Attorneys for Plaintiff
Marjorie E. Manning, SBN 118643
John P. Coleman, SBN 60844
BOLLING & GAWTHROP
A Professional Corporation
8880 Cal Center Drive, Suite 190
Sacramento, California 95826
Telephone: (916) 369-0777
Facsimile: (916) 369-2698
Attorneys for Defendant County of Mono John S. Manzano, Esq.
MINARET LEGAL SERVICES, APC
181 Sierra Manor Road, #4
P.O. Box 8931
Mammoth Lakes, CA 93546
Telephone: (760) 934-4660
Facsimile: (760) 924-7992
Attorneys for Plaintiff Theodore A. Rauh
STIPULATED REQUEST TO MODIFY
DATES AND TERMS OF
SCHEDULING ORDER OTHER THAN
DATE OF TRIAL AND ORDER
[L.R. 143]
Hon. Edmund F. Brennan
STIPULATED REQUEST TO MODIFY DATES AND TERMS OF SCHEDULING
ORDER OTHER THAN DATE OF TRIAL
Pursuant to Local Rule 143 and to paragraph IX of the Status (Pretrial Scheduling) Order (Doc. 8, filed April 19, 2012) ("Scheduling Order"), all parties hereto (defendant Diane Anthony has not been served) stipulate and respectfully request the Court to modify the dates and terms of the Scheduling Order as set forth below. This request is made necessary by the unavailability of plaintiff to appear for his deposition, previously set for January 17, 2013, until after the present cutoff date for non-expert discovery now set for February 1, 2013. The parties have exchanged the Rule 26 discovery information and documents, have subpoenaed, obtained, and reviewed pertinent medical records concerning the plaintiff's claimed injuries and damages, and have exchanged written discovery. It is anticipated that the non-expert discovery can be completed by a new proposed cutoff date of March 9, 2013.
There have been no previous requests for modification of the original Pretrial Scheduling Order. The parties have agreed to the following modifications of the initial Scheduling Order consistent with the Court's calendar and the original trial date which the parties do not seek to modify:
March 9, 2013: Deadline to complete non-expert discovery.
March 25, 2013: Deadline for plaintiff to disclose experts and produce reports in accordance with Federal Rule of Civil Procedure 26(a)(2).
April 9, 2013: Deadline for defendant to disclose experts and produce reports in accordance with Federal Rule of Civil Procedure 26(a)(2).
May 17, 2013: Deadline for completing all discovery, including depositions for preservation of testimony and expert witnesses.
June 29, 2013: Deadline for filing all motions except motions for continuances, temporary restraining orders, or other emergency applications.
July 29, 2013: Deadline for hearing all motions, except motions for continuances, temporary restraining orders, or other emergency applications.
August 19, 2013: Final Pretrial Conference at 2:00 p.m. in Courtroom No. 5.
October 8, 2013: Jury Trial at 9:00 a.m. in Courtroom 5 [unchanged].
BOLLING & GAWTHROP
By: ___________
John P. Coleman
Attorneys for County of Mono
MINARET LEGAL SERVICES, APC
signature on original
By: ___________
John S. Manzano
Attorneys for Plaintiff
ORDER
In light of the parties' stipulation, the Rule 16 good cause standard is not addressed herein.
___________
EDMUND F. BRENNAN
UNITED STATES MAGISTRATE JUDGE