Opinion
2:22-cv-0534-BJR
06-23-2023
HARPER | HAYES PLLC By: Charles K. Davis Todd C. Hayes, WSBA No. 26361 Charles K. Davis, WSBA No. 38231 Attorneys for Plaintiff REED MCCLURE By: Marilee C. Erickson Marilee C. Erickson, WSBA No. 16144 Attorneys for Defendant DICKINSON WRIGHT PLLC By: P. Bruce Converse P. Bruce Converse, Pro Hac Vice Attorneys for Defendant
HARPER | HAYES PLLC By: Charles K. Davis Todd C. Hayes, WSBA No. 26361 Charles K. Davis, WSBA No. 38231 Attorneys for Plaintiff
REED MCCLURE By: Marilee C. Erickson Marilee C. Erickson, WSBA No. 16144 Attorneys for Defendant
DICKINSON WRIGHT PLLC By: P. Bruce Converse P. Bruce Converse, Pro Hac Vice Attorneys for Defendant
STIPULATED MOTION AND ORDER TO EXTEND DISCOVERY DEADLINE TO TAKE DEPOSITIONS OF EXPERTS
BARBARA J. ROTHSTEIN UNITED STATES DISTRICT JUDGE
I. STIPULATION
Plaintiff Creekside on Sunset Condominium Association and Defendant Evanston Insurance Company jointly move the Court for an order extending the discovery completion date for the sole purpose of deposing experts Colby Burnett, Peter Marchel, and Zeno Martin to July 25, 2023. Pursuant to this Court's March 13, 2023 Order (Dkt. 33), the parties exchanged FRCP 26(a)(2) expert witness reports on June 9, 2023. The parties have encountered difficulty in scheduling depositions of experts. At least one deposition was scheduled and had to be postponed. Despite reasonable efforts by both sides, the parties have been unable to schedule the deposition of experts Colby Burnett, Peter Marchel, and Zeno Martin until after the July 10, 2023, discovery completion deadline set by this Court. All other pre-trial deadlines will remain the same.
I certify that this memorandum contains 131 words, in compliance with the Local Civil Rules.
II. ORDER
Based on the above Stipulation, it is ordered that the discovery completion date, for the sole purpose of taking the depositions of expert witnesses Colby Burnett, Peter Marchel, and Zeno Martin is extended to July 25, 2023.