Opinion
2:22-CV-00736-BJR
12-14-2023
Jesse Valdez, VALDEZ LEHMAN, PLLC Co-Counsel and Attorney for Plaintiff Nikita Tarver ANN DAVISON Seattle City Attorney Alexandra Nica, Ghazal Sharifi, Catherine Riedo, Assistant City Attorneys
Jesse Valdez, VALDEZ LEHMAN, PLLC Co-Counsel and Attorney for Plaintiff Nikita Tarver
ANN DAVISON Seattle City Attorney Alexandra Nica, Ghazal Sharifi, Catherine Riedo, Assistant City Attorneys
STIPULATED MOTION TO EXTEND EXPERT WITNESS DISCLOSURE DATE AND ORDER
Honorable Barbara J. Rothstein United States District Judge
IT IS HEREBY STIPULATED by and between plaintiff, NIKITA TARVER, through her attorney, Jesse Valdez, and defendants, CITY OF SEATTLE AND SEVERAL UNKNOWN OFFICERS, through their attorney, Alexandra Nica, that the date for disclosure of expert witnesses in the above-entitled matter, be extended to January 31, 2024. This extension is necessary to allow the plaintiff's police practices expert to comply with the requirements of Federal Rule of Civil Procedure 26(a)(2), due to the Plaintiff's counsel being out of the country.
This stipulation will not affect the balance of the Status (Pre-Trial Scheduling) Order signed by the Honorable Barbara J. Rothstein.
ORDER
GOOD CAUSE APPEARING, IT IS HEREBY ORDERED that the date for disclosure of expert witnesses is hereby extended to January 31, 2024. This date for disclosure will not affect the balance of the Status (Pre-Trial Scheduling) Order.
DONE IN OPEN COURT/CHAMBERS