Dudley v. Hartford Casualty Insurance Company

Filing 8

STIPULATION and ORDER signed by Magistrate Judge Kendall J. Newman on 5/13/10 ORDERING that Pltf's supplemental responses to Deft's interrogatory and production requests are due by 5/21/10. (Owen, K)

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1 2 3 4 5 6 7 8 9 10 11 RUDLOFF WOOD & BARROWS LLP G. EDWARD RUDLOFF, JR. (SBN 56058) ANDREA BEDNAROVA (SBN 250709) RUDLOFF WOOD & BARROWS LLP 2000 Powell Street, Suite 900 Emeryville, CA 94608 Telephone: (510) 740-1500 Facsimile: (510) 740-1501 E-Mail: erudloff@rwblaw.com abednarova@rwblaw.com Attorneys for Defendant HARTFORD CASUALTY INSURANCE COMPANY UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 JAMES DUDLEY DBA DA4 PRODUCTS, INC., Plaintiff, vs. HARTFORD CASUALTY INSURANCE COMPANY; PAULEY & ASSOCIATES INSURANCE AGENTS AND BROKERS; and DOES 1 TO 100, Defendants. / No. 2:10-CV-01075-MCE-KJN STIPULATION TO EXTEND TIME FOR PLAINTIFF TO SERVE SUPPLEMENTAL RESPONSES TO HARTFORD'S FIRST SETS OF FORM INTERROGATORIES AND DOCUMENT REQUESTS Complaint Filed: 7/27/2009 Removal Date: 4/30/2010 Trial Date: Not yet set 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 1. WHEREAS, the Parties to this action previously stipulated in the Sacramento County Superior Court that Plaintiff's further responses to Defendant's First Sets of Form Interrogatories and Requests for Production of Documents and Things were due on April 30, 2010. 2. WHEREAS, the Parties further stipulated to extend the deadline to file Defendant's Motion to Compel Further Responses to Defendant's First Sets of Form Interrogatories and Requests for Production of Documents and Things to May 14, 2010. STIP TO EXTEND TIME FOR PLTF TO SERVE SUPP RESPONSES TO HARTFORD'S FIRST SETS OF SPEC ROGS/DOC REQUESTS - CASE NO. 2:10-CV-01075-MCE-KJN -1- 1 2 3 4 5 6 7 8 9 10 11 RUDLOFF WOOD & BARROWS LLP NOW, THEREFORE, by and through their undersigned counsel of record, the Parties hereby stipulate to the following: 1. Plaintiff shall supplement its responses to Defendant's First Sets of Form Interrogatories and Requests for Production of Documents and Things and produce any additional responsive documents no later than May 21, 2010. 2. The timing for filing of Defendant's Motion to Compel Responses to Defendant's First Sets of Form Interrogatories and Requests for Production of Documents and Things is governed by the Federal Rules of Civil Procedure and the Rules of this Court. DATED: May 10, 2010 RUDLOFF WOOD & BARROWS LLP By: __/s/ G. Edward Rudloff, Jr._______________ G. Edward Rudloff, Jr. Andrea Bednarova Attorneys for Defendant HARTFORD CASUALTY INSURANCE COMPANY 12 ATTORNEYS AT LAW 2000 POWELL STREET, SUITE 900 EMERYVILLE, CALIFORNIA 94608 (510) 740-1500 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 DATED: May 13, 2010 IT IS SO ORDERED. DATED: May 7, 2010 DAVID ALLEN & ASSOCIATES By: ___/s/ David Allen_______________________ David Allen Attorneys for PLAINTIFF JAMES DUDLEY dba DA4 PRODUCTS, INC. /s/ Kendall J. Newman KENDALL J. NEWMAN UNITED STATES MAGISTRATE JUDGE STIP TO EXTEND TIME FOR PLTF TO SERVE SUPP RESPONSES TO HARTFORD'S FIRST SETS OF SPEC ROGS/DOC REQUESTS - CASE NO. 2:10-CV-01075-MCE-KJN -2-

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