Opinion
No. C 07-6367 SBA
10-20-2011
RICHARD GAYTAN, Plaintiff, v. HILDA SOLIS, Secretary of Labor, Defendant.
MELINDA HAAG (SBN 132612) United States Attorney JOANN M. SWANSON (SBN 88143) Chief, Civil Division MICHAEL T. PYLE (SBN 172954) Assistant United States Attorney Attorneys for Defendant Hilda Solis, Secretary of Labor
MELINDA HAAG (SBN 132612)
United States Attorney
JOANN M. SWANSON (SBN 88143)
Chief, Civil Division
MICHAEL T. PYLE (SBN 172954)
Assistant United States Attorney
Attorneys for Defendant Hilda Solis, Secretary of Labor
STIPULATION AND ORDER TO SET DATE FOR MR. GAYTAN'S DEPOSITION AND TO CONTINUE FACT DISCOVERY AND EXPERT DISCLOSURES DEADLINE
IT IS HEREBY STIPULATED by and between the undersigned, subject to the approval of the Court, that (1) Mr. Gaytan will be deposed on November 3, 2011 and (2) the deadline for completing fact discovery and and expert disclosures is extended from December 23, 2011 to January 31, 2012.
This stipulation was agreed to at the request of counsel for Defendant. Mr. Gaytan had been scheduled to be deposed on July 14, 2011, but the deposition was rescheduled at Mr. Gaytan's request. Mr. Gaytan's deposition has been repeatedly been set and then rescheduled at Mr. Gaytan's request due to personal issues Mr. Gaytan has faced. Mr. Gaytan is available for deposition on November 3, 2011. Defendant has been wanting to take Mr. Gaytan's deposition earlier than that because Defendant will need to conduct some additional discovery after Mr. Gaytan's deposition, the precise nature of which discovery will be dependent upon the content of Mr. Gaytan's testimony. Defendant is willing to proceed with Mr. Gaytan's deposition on November 3, 2011, the date preferable to him, if the fact discovery deadline and expert disclosure deadline can be moved to January 31, 2012. The parties do not believe that any other dates set by the Court would need to be continued because of this stipulation.
RICHARD GAYTAN
Plaintiff
MELINDA HAAG
United States Attorney
MICHAEL T. PYLE
Assistant United States Attorney
Attorneys for Defendant
PURSUANT TO STIPULATION, IT IS SO ORDERED:
Plaintiff Mr. Gaytan is to be deposed commencing at 11:00 a.m. on November 3, 2011 at Defendant counsel's office. The fact discovery and expert discosure deadline is continued from December 23, 2011 to January 31, 2012. All other dates previously set by the Court remain in place.
HON. SANDRA BROWN ARMSTRONG
United States District Chief Judge
UNITED STATES DISTRICT COURT
FOR THE
NORTHERN DISTRICT OF CALIFORNIA
GAYTAN et al, Plaintiff,
v.
SOLIS et al, Defendant.
Case Number: CV07-06367 SBA
CERTIFICATE OF SERVICE
I, the undersigned, hereby certify that I am an employee in the Office of the Clerk, U.S. District Court, Northern District of California.
That on October 20, 2011, I SERVED a true and correct copy(ies) of the attached, by placing said copy(ies) in a postage paid envelope addressed to the person(s) hereinafter listed, by depositing said envelope in the U.S. Mail, or by placing said copy(ies) into an inter-office delivery receptacle located in the Clerk's office.
Richard Gaytan
433 Red Lion Way
Newman, CA 95360
Richard W. Wieking, Clerk
By: LISA R CLARK, Deputy Clerk