Opinion
2:23-cv-00405
06-22-2023
FRANK FREED SUBIT & THOMAS LLP Michael C. Subit, WSBA No. 29189 Attorney for Plaintiff FRANK FREED SUBIT & THOMAS LLP Attorney for Plaintiff
FRANK FREED SUBIT & THOMAS LLP Michael C. Subit, WSBA No. 29189 Attorney for Plaintiff
FRANK FREED SUBIT & THOMAS LLP Attorney for Plaintiff
STIPULATED MOTION AND
[PROPOSED] ORDER FOR
EXTENSION OF INITIAL
DISCLOSURES PURSUANT TO FRCP 26(a)(1)
JAMES L. ROBART, UNITED STATES DISTRICT COURT JUDGE
COME NOW THE PARTIES HERETO, through their respective counsel and stipulate and agree that the deadline for exchanging initial disclosures be postponed to September 19, 2023, which is seven days after the currently scheduled mediation date. The parties strongly believe that the prospects for a negotiated settlement will be substantially increased if they do not expend resources on litigation activities prior to the mediation. All other discovery shall be complete in compliance with the Order Setting Trial Date and Related Dates.
The foregoing is stipulated and agreed to.
ORDER
Based upon the above stipulation and agreement by the parties, the Court hereby ORDERS that the Initial Disclosure deadline be postponed until September 19, 2023. All other discovery shall be complete in compliance with the Order Setting Trial Date and Related Dates.
PURSUANT TO THE FOREGOING STIPULATION, IT IS SO ORDERED.