Opinion
2:21-CV-01301-RSM-DWC
01-10-2023
DONALD E. MORISKY, an individual, Plaintiff, v. MMAS RESEARCH, LLC, a Washington limited liability company, et al., Defendants.
Brett C. Harris VIRGO LAW LLC Paul S. Haberman (Pro Hac Vice Pending) LAW OFFICES OF PAUL S. HABERMANN LLC Attorneys for Defendant/Counterclaimants F. Christopher Austin (Pro Hac Vice) WEIDE & MILLER, LTD. William J. Crowley CROWLEY LAW OFFICES, P.S. Attorneys for Plaintiff/Counterclaim Defendants
Brett C. Harris VIRGO LAW LLC Paul S. Haberman (Pro Hac Vice Pending) LAW OFFICES OF PAUL S. HABERMANN LLC Attorneys for Defendant/Counterclaimants
F. Christopher Austin (Pro Hac Vice) WEIDE & MILLER, LTD. William J. Crowley CROWLEY LAW OFFICES, P.S. Attorneys for Plaintiff/Counterclaim Defendants
STIPULATION AND ORDER TO EXTEND TIME TO TAKE DEPOSITIONS OF STEVEN TRUBOWAND THE RULE 30(B)(6) DESIGNEE(S) OF THE MMAS RESEARCH DEFENDANTS STIPULATION
David W. Christel United States Magistrate Judge
The Parties, Plaintiff/Counterclaim Defendant Donald E. Morisky and Defendant/Counterclaimants Steve Trubow (“Trubow”) and the MMAS Research Defendants (MMAS Research, LLC; MMAS RESEARCH ITALY S.R.L., and MMAS RESEARCH FRANCE, SAS”) (collectively, “Defendants”), through their undersigned counsel of record, stipulate to the entry of an order extending the time for Plaintiff to take the depositions of Trubow and the Rule 30(b)(6) designee(s) of the MMAS Research Defendants (the “Depositions”) from the current deposition discovery deadline of January 13, 2023, to February 28, 2023. The Depositions were originally scheduled for January 6, 2023; however, Defendants and their counsel subsequently identified conflicts with this date arising from pending federal cases involving the parties in other jurisdictions. To accommodate these conflicts, the Parties hereby stipulate to extend the time to take these Depositions to February 28, 2023.
Neither party will be prejudiced by this proposed stipulation extending the time to take these Depositions, and the undersigned counsel for the Parties affirms this stipulation is made in good faith and not for purposes of harassment or undue delay in this matter.
SO STIPULATED
ORDER
This matter having come before the Court on the stipulation of the parties, and good cause having been shown, IT IS HEREBY ORDERED THAT the discovery deadline to take the depositions of Steven Trubow and the Rule 30(b)(6) designee(s) of the MMAS Research Defendants is hereby extended to February 28, 2023.