Opinion
2:22-cv-01005-KJM-JDP
09-27-2022
Honorable Kimberly J. Mueller MAYER BROWN LLP MAYER BROWN LLP RICHARD F. BULGER (pro hac vice forthcoming) HOGAN LOVELLS U.S. LLP OLIVIA MOLODANOF Attorneys for Defendant 3M Company
Honorable Kimberly J. Mueller MAYER BROWN LLP MAYER BROWN LLP RICHARD F. BULGER (pro hac vice forthcoming) HOGAN LOVELLS U.S. LLP OLIVIA MOLODANOF Attorneys for Defendant 3M Company
ORDER TO TEMPORARILY POSTPONE THE RULE 26 SCHEDULING CONFERENCE AND SUBMITTAL OF THE RULE 26(f) DISCOVERY PLAN 1 In light of the Parties' Joint Stipulation to Temporarily Postpone the Rule 26 Scheduling Conference and Submittal of the Rule 26(f) Discovery Plan, and in furtherance of orderly case management of this matter, the Court hereby orders that (1) the scheduling of the Rule 26 Scheduling Conference and the submittal Rule 26(f) Discovery Plan be postponed until after the October 7, 2022 Pretrial Scheduling Conference set for October 7, 2022, and (2) that the Parties be prepared to discuss the appropriate timing for the Rule 26 Scheduling Conference and submittal of the Rule 26(f) Discovery Plan at the October 7, 2022 Pretrial Scheduling Conference.
IT IS SO ORDERED. 2