Opinion
Case No.: 3:11-cv-00085
09-26-2012
BASS, BERRY & SIMS, PLC Jessalyn H Zeigler H. Lee Barfield II (BPR 2581) Jessalyn H. Zeigler (BPR 16139) W. Brantley Phillips (BPR 18844) and ROBINS, KAPLAN, MILLER & CIRESI L.L.P. William H. Manning (admitted pro hac vice) Jason W. Pfeiffer (admitted pro hac vice) Joel A. Mintzer (admitted pro hac vice) Aaron R. Fahrenkrog (admitted pro hac vice) ATTORNEYS FOR DEFENDANT HONEYWELL INTERNATIONAL INC. Gerard Stranch, IV Michael Stewart J. Gerard Stranch, IV Ben Gastel BRANSETTER STRANCH & JENNINGS ATTORNEYS FOR PLAINTIFF PAUL REHBERGER
Judge Kevin H. Sharp/
Magistrate Judge John Bryant
Jury Trial Demanded
AMENDED ORDER RESETTING DEADLINES
Pursuant to the Court's Order in the related matter for James and Shelia Bearden, Case No.: 3:09-cv-01035 [Docket No. 275, dated June 5, 2012] regarding the June 1, 2012 summary judgment hearing in that case, the parties have agreed to the following new deadlines in this matter.
1. DISCOVERY SCHEDULE
Discovery in this matter should be staged such that discovery as to Plaintiff's individual claims proceeds, with discovery regarding any class claims only proceeding if Plaintiff's individual claims survive any dispositive motions based upon the individual discovery. The following schedule is in effect for discovery and deadlines related to Plaintiff's individual claims:
(a) The parties shall complete all written discovery and depose all fact witnesses on or before February 15, 2013.
(b) Plaintiff shall complete all testing of the subject air cleaner on or before February 15, 2013. Defendants shall have until April 15, 2013 to complete any additional written discovery and fact depositions relating to the testing of the subject air cleaners.
(c) Plaintiff shall disclose any experts and provide expert reports by May 30, 2013. Defendant shall disclose any experts and provide expert reports by July 15, 2013. Rebuttal experts shall not be permitted except with Court approval. Expert depositions shall be completed by September 15, 2013, with Plaintiff's experts being deposed first.
(d) Motions to Amend: Plaintiff will not be granted leave to further amend his Complaint. The Defendant shall file all Motions to Amend its Answer on or before February 15, 2013.
(e) The parties shall coordinate discovery between the Rehberger and Bearden Actions and all discovery provided in one action is presumed to apply to the other action, subject to the Court's ruling to the contrary. 2. JOINT MEDIATION REPORT
The parties agree that this matter should be mediated at the same time as Bearden. Under the extended deadline, the parties must file a joint report indicating whether they believe mediation of this matter would be helpful on or before October 15, 2013.
3. DISPOSITIVE MOTIONS
The parties shall file all dispositive motions regarding Plaintiff's individual claims on or before November 15, 2013. Responses to dispositive motions shall be filed within thirty (30) days after the filing of the motion. Optional replies may be filed within ten (10) days of the response and shall not exceed fifteen (15) pages. Initial briefs and response briefs shall not exceed thirty-five (35) pages without Court approval. No motion for partial summary judgment shall be filed except upon leave of court. Any party wishing to file such a motion shall first file a separate motion that gives the justification for filing a partial summary judgment motion in terms of overall economy of time and expense for the parties, counsel and the court. 4. ELECTRONIC DISCOVERY
The parties have conferred and the default standard contained in Administrative Order 174 will apply.
5. TRIAL
If Plaintiff's individual claims survive following completion of discovery and any dispositive motions, a new schedule for discovery related to class claims and for class certification shall be set. A trial date will not be set at this time.
IT IS SO ORDERED.
______________________
JOHN S. BRYANT
United States Magistrate Judge
APPROVED FOR ENTRY:
Respectfully submitted,
BASS, BERRY & SIMS, PLC
Jessalyn H Zeigler
H. Lee Barfield II (BPR 2581)
Jessalyn H. Zeigler (BPR 16139)
W. Brantley Phillips (BPR 18844)
and
ROBINS, KAPLAN, MILLER & CIRESI L.L.P.
William H. Manning (admitted pro hac vice)
Jason W. Pfeiffer (admittedpro hac vice)
Joel A. Mintzer (admitted pro hac vice)
Aaron R. Fahrenkrog (admitted pro hac vice)
ATTORNEYS FOR DEFENDANT
HONEYWELL INTERNATIONAL INC.
Gerard Stranch, IV
Michael Stewart
J. Gerard Stranch, IV
Ben Gastel
BRANSETTER STRANCH & JENNINGS
ATTORNEYS FOR PLAINTIFF PAUL
REHBERGER