Opinion
3:22-CV-5864-JCC-DWC
12-22-2023
JAMES OHLSON, Plaintiff, v. STATE OF WASHINGTON, WASHINGTON STATE DEPARTMENT OF CORRECTIONS, LT. DELONG, and DOES 1-10, INCLUSIVE, Defendants.
ROBERT W. FERGUSON Attorney General THOMAS E. HUDSON, WSBA No. 46855 Assistant Attorney General Attorney for Defendants Torts Division CIVIL RIGHTS JUSTICE CENTER, PLLC DARRYL PARKER, WSBA No. 30770 Attorney for Plaintiff
ROBERT W. FERGUSON
Attorney General
THOMAS E. HUDSON, WSBA No. 46855
Assistant Attorney General
Attorney for Defendants
Torts Division
CIVIL RIGHTS JUSTICE CENTER, PLLC
DARRYL PARKER, WSBA No. 30770
Attorney for Plaintiff
STIPULATED MOTION AND ORDER TO EXTEND DISCOVERY DEADLINE
DAVID W. CHRISTEL, CHIEF UNITED STATES MAGISTRATE JUDGE.
I. STIPULATION
The parties, by and through their attorneys of record, hereby stipulate and request that the Court extend the current discovery deadline by 1 month. The necessity for this extension arises from the parties' need to negotiate the logistics of Defendants' production of emails responsive to Plaintiff's discovery requests, and Defendants' need to then review and produce responsive emails. Both parties have been working diligently to advance the discovery phase, but unforeseen delays and scheduling conflicts have made it impracticable to meet the current discovery deadlines. A trial date has not been set for this case, and both parties have good cause for the requested extension.
CURRENT
PROPOSED
December 31, 2023 Discovery
1/30/2024
January 28, 2024 Dispositive Motions
2/27/2024
ORDER
THIS MATTER having come before the Court on the foregoing Stipulation, and the Court having considered the Stipulation, and good cause appearing, now, therefore:
IT IS ORDERED THAT the pretrial deadlines in the above-entitled action are to be continued by 1 month, and a new scheduling order will be issued by the Court.