McBride v. Pentagon Technologies Group, Inc. et al

Northern District of California, cand-4:2015-cv-02696

ORDER GRANTING {{67}} STIPULATION to Extend Deadlines. Discovery due by 9/30/2016. Expert Discovery due by 11/11/2016. Signed by Judge Saundra Brown Armstrong on 6/17/16.

Interested in this case?

Current View

Full Text

1 2 3 4 UNITED STATES DISTRICT COURT 5 NORTHERN DISTRICT OF CALIFORNIA 6)) Case Number: C 15-2696 SBA 7 FRANK A. McBRIDE, III) 8) AGREED MOTION, STIPULATION AND Plaintiff(s),) ORDER TO MODIFY ORDER FOR 9) PRETRIAL PREPARATION) 10 vs.) 11) PENTAGON TECHNOLOGIES GROUP,) 12 INC., et al.,) Defendant(s).) 13) 14) 15 The parties to the above-entitled action hereby move the Court to modify the schedule set 16 forth in the Order for Pretrial Preparation, entered on January 28, 2016. 17 In support of this Motion, the parties represent that they have diligently attempted to 18 reach a resolution of this matter through both the Court-ordered ENE process and a private 19 mediation, but have, to date, been unsuccessful. The parties have concluded that, in order to 20 complete discovery in an efficient manner, this short extension of the discovery and certain other 21 deadlines is appropriate and necessary. The proposed modifications do not affect the dates for 22 Pretrial Submissions, the Pretrial Conference, or the Trial. In light of the foregoing, the parties 23 stipulate that the Order for Pretrial Preparation be amended as follows, and request that the Court 24 order and approve such stipulation, all other dates remaining unchanged: 25 26 Discovery Cutoff: September 30, 2016 27 Expert Designation and Discovery: 28 377843.1 1 Plaintiff Designation: September 30, 2016 2 Defendants' Designation: September 30, 2016 3 Rebuttal Disclosure: October 21, 2016 4 Expert Discovery Cutoff: November 11, 2016 5 Dispositive Motion Cutoff: 6 All motions to be heard by: December 9, 2016 7 Respectfully Submitted, 8 /s/ Fordham E. Huffman _ 9 Dated: June 17, 2016 Fordham E. Huffman, appearing pro hac vice FISHERBROYLES LLP 10 PO BOX 1633305 Columbus, OH 43216 11 (614) 371-8085 12 fordham.huffman@fisherbroyles.com Counsel for Plaintiff McBride 13 14 /s/ Thomas H. Carlson _ 15 Thomas H. Carlson ROGERS JOSEPH O'DONNELL & PHILLIPS 16 311 California Street San Francisco, CA 94104 17 (415) 965-2828 tcarlson@rjo.com 18 Counsel for Defendant Pentagon 19 20 /s/ Douglas M. Mansfield _ Douglas M. Mansfield, appearing pro hac vice 21 LAPE MANSFIELD NAKASIAN & GIBSON, LLC 22 9980 Brewster Lane, Suite 150 Powell, OH 43065 23 (614) 763-2316 dmansfield@lmng-law.com 24 Counsel for the Baird Capital Defendants 25 26 27 28 377843.1 1 2 ORDER 3 The above JOINT MOTION AND STIPULATION TO MODIFY ORDER FOR PRETRIAL 4 PREPARATION is approved and it is SO ORDERED. All parties shall comply with its 5 provisions. [In addition, the Court makes the further orders stated below:] 6 7 8 IT IS SO ORDERED. 9 Dated: June 17, 2016 SAUNDRA BROWN ARMSTRONG 10 UNITED STATES DISTRICT COURT JUDGE 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 377843.1