Opinion
3:21-cv-00387-ART-CLB
01-10-2023
JOHN ILIESCU, JR., AND SONNIA ILIESCU, Trustees of The John Iliescu, Jr. and Sonnia Iliescu 1992 Family Trust Agreement dated January 24, 1992, Plaintiffs, v. THE REGIONAL TRANSPORTATION COMMISSION OF WASHOE COUNTY, a special unit of the government; and DOES I through X, inclusive, Defendants.
MAUPIN, COX & LEGOY Donald Lattin, Esq. Carolyn Renner, Esq. Attorneys for Plaintiffs John Iliescu, Jr. and Sonnia Iliescu, Trustees of the John Iliescu, Jr and Sonnia Iliescu 1992 Family Trust and individually WOODBURN AND WEDGE Dane W. Anderson, Esq. Attorneys for Defendant The Regional Transportation Commission of Washoe County
MAUPIN, COX & LEGOY Donald Lattin, Esq. Carolyn Renner, Esq. Attorneys for Plaintiffs John Iliescu, Jr. and Sonnia Iliescu, Trustees of the John Iliescu, Jr and Sonnia Iliescu 1992 Family Trust and individually
WOODBURN AND WEDGE Dane W. Anderson, Esq. Attorneys for Defendant The Regional Transportation Commission of Washoe County
ORDER GRANTING STIPULATION ATO EXTEND REBUTTAL EXPERT DEADLINE AND DISCOVERY DEADLINE
The parties, by and through their undersigned counsel of record, hereby stipulate and agree to extend the time to make rebuttal expert witness disclosures from January 9, 2023 to January 23, 2023 and the discovery deadline from February 8, 2023 to May 9, 2023.
Therefore, pursuant to LR 26-4, the parties advise the Court: (a) the parties have made document disclosures and RTC has served written discovery to which Plaintiffs have responded and the parties timely made initial expert disclosures; (b) the remaining discovery to be completed are rebuttal experts, party depositions, possible expert witness depositions and perhaps follow up written discovery; (3) the parties seek a two-week extension of the rebuttal expert deadline as well as a three-month extension of the discovery deadline due to the intervening holidays, the burden of other cases (including two jury trials for RTC's counsel during February 2023; (4) the deadline for rebuttal expert disclosures will be January 23, 2023, and the deadline to complete remaining discovery will be May 9, 2023.
Good cause exists for this joint request. The parties have exchanged initial expert disclosures on December 4, 2022 and, due to holidays and work burdens during that time, have been unable to arrange for rebuttal reports in time for the January 9 deadline. The parties seek only a two-week extension of that deadline. Counsel for the parties makes this request for an extension of the rebuttal expert and discovery deadlines in good faith to potentially avoid unnecessary expenses and not for purposes of delay.
The undersigned do hereby affirm that the preceding document does not contain the personal information of any person.
IT SO ORDERED.