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Cherry v. Tyler ( 2020 )


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  • 1 Adam U. Lindgren (SBN: 177476) CITY OF MODESTO 2 1010 10th Street, Suite 6300 3 P.O. Box 642 Modesto, CA 95353 4 Telephone: (209) 577-5284 Facsimile: (209) 544-8260 5 6 Deborah J. Fox (SBN: 110929) dfox@meyersnave.com 7 David Mehretu (SBN: 269398) 8 dmehretu@meyersnave.com William H. Curtis (SBN: 139920) 9 bcurtis@meyersnave.com MEYERS, NAVE, RIBACK, SILVER & WILSON 10 555 12th Street, Suite 1500 11 Oakland, California 94607 Telephone: (510) 808-2000 12 Facsimile: (510) 444-1108 13 Attorneys for Defendants, 14 MODESTO POLICE SERGEANT JAMES “DERRICK” TYLER, LIEUTENANT 15 TERRY SEESE, CITY OF MODESTO 16 17 UNITED STATES DISTRICT COURT 18 EASTERN DISTRICT OF CALIFORNIA, FRESNO DIVISION 19 ADORTHUS CHERRY, Case No. 1:18-cv-01268-LJO-EPG 20 21 Plaintiff, STIPULATION AND ORDER TO MODIFY SCHEDULING ORDER 22 v. Hon. Magistrate Judge Erica P. Grosjean 23 Modesto Police Sergeant JAMES 24 “DERRICK” TYLER, Lieutenant TERRY SEESE, the CITY OF MODESTO,; and 25 JOHN/JANE DOEs #s 1 through 10, 26 inclusive. Trial Date: November 17, 2020 27 Defendants. 1 Pursuant to Local Rule 143 and Federal Rule of Civil Procedure 16(b) Plaintiff 2 Adorthus Cherry (“Plaintiff”) and Defendants Modesto Police Sergeant JAMES 3 “DERRICK” TYLER, Lieutenant TERRY SEESE, and the CITY OF MODESTO 4 (“Defendants”) (collectively “the parties”) stipulate and ask the Court to amend the 5 scheduling order entered on August 14, 2019 (ECF No. 30) to allow Defendants to 6 designate a replacement police expert witness in place of their currently designated expert 7 (and rebuttal expert) Thomas Frazier, who has become unavailable due to a grave medical 8 condition, by April 16, 2020, accompanied on that date by the new expert’s F.R.Civ.P. 9 Rule 26(a)(2) report. (See discussion below.) 10 “The district court is given broad discretion in supervising the pretrial phase of 11 litigation.” Johnson v. Mammoth Recreations, Inc., 975 F2d 604, 607 (9th Cir. 1992) 12 (citation and internal quotations marks omitted). Rule 16(b) provides that “[a] schedule 13 may be modified only for good cause and with the judge’s consent.” Fed. R. Civ. P. 14 16(b)(4). “The schedule may be modified ‘if it cannot reasonably be met despite the 15 diligence of the party seeking the extension.’” Zivkovic v. Southern California Edison Co., 16 302 F.3d 1080, 1087 (9th Cir. 2002)(quoting Johnson, 975 F.2d at 607). 17 Good cause exists for this extension. On Friday, March 6, 2020, Defendants’ 18 counsel David Mehretu was advised by Thomas Frazier (Defendants’ sole, disclosed 19 expert witness) that he (Mr. Frazier) is undergoing treatment for a grave medical condition, 20 has had a sudden precipitous decline in health, and is unable to further work as an expert 21 witness in this matter including testifying at deposition and trial. 22 Defendants’ counsel immediately notified counsel for Plaintiff of this development. 23 Plaintiff’s counsel agreed to the substitution of a replacement expert (including as an 24 expert and rebuttal expert) in place of Mr. Frazier, so long as the new expert adopts Mr. 25 Frazier's opinions and expert report and rebuttal report as is, without adding any new 26 opinions. The new expert is free to subtract entire, numbered opinions, but not to add 27 opinions Mr. Frazier has already given in his reports, or otherwise modify any of his 1 Defendants must designate their replacement expert, and must serve his/her report 2 and supplemental report adopting Mr. Frazier's already stated reports and opinions as 3 discussed above, without incorporation or reference to Mr. Frazier’s reports, opinions, or 4 name and so they are free standing and complete in of themselves, by April 16, 2020. 5 Wherever Mr. Clark, in his reports, may have referred to the report and/or opinions 6 of Mr. Frazier, it will be understood, for purposes of presentation of any evidence to a jury, 7 that he is referring to the report and/or opinions of Defendants’ new expert. The parties 8 will work together as necessary to present such evidence seamlessly and non-prejudicially 9 to a jury. 10 Defendants must agree to produce the new expert for deposition at Plaintiff 11 counsel’s office (and accept service), or by video, within a reasonable time and so as not to 12 disrupt the set case schedule, for no more than what Mr. Frazier would have charged. If 13 more, whether hourly or for travel or accommodations, etc., Defendants must bear the 14 difference in expense. This will be the only expert witness change allowed, no other 15 experts may be named, and Defendants may not revert to utilizing Mr. Clark after the 16 parties stipulate to this agreement. 17 If Defendants rely on an expert’s report or opinions in any dispositive motion, 18 Defendants must produce their new expert for deposition by Plaintiff’s counsel by no later 19 than May 1, 2020, if Plaintiff so insists, in order to avoid disrupting the set case schedule, 20 including the dispositive motion filing deadline of May 8, 2020—provided, however, that 21 Plaintiff may elect to depose Defendant’s new expert later than this date. If Defendants 22 decline to rely on an expert’s report or opinion in any dispositive motion, by informing 23 Plaintiff’s counsel in writing or by email of such decision by April 29, 2020, Defendants 24 must instead produce their new expert for deposition by Plaintiff’s counsel within a 25 reasonable time thereafter. 26 Failure to abide by any of the terms of this stipulation voids this stipulation. 27 / / / 1 IT IS SO STIPULATED between the parties. 2 3 DATED: April 16, 2020 MEYERS, NAVE, RIBACK, SILVER & WILSON 4 5 By: /s/ William H. Curtis 6 WILLIAM H. CURTIS 7 DAVID MEHRETU Attorneys for Defendants, 8 MODESTO POLICE SERGEANT JAMES “DERRICK” TYLER, LIEUTENANT 9 TERRY SEESE, CITY OF MODESTO 10 11 DATED: April 16, 2020 RANDOLPH E. DAAR BEN ROSENFELD 12 13 14 By: /s/ Ben Rosenfeld BEN ROSENFELD 15 Attorneys for Plaintiff, 16 ADORTHUS CHERRY 17 18 19 20 21 22 23 24 25 26 27 wOAoe 4:40 LOYUOUINMINE RNS UETIOTEC SE POO a NEN □□□ VI 1 ORDER 2 The stipulation of the parties (ECF No. 39) to amend the scheduling order entered 3 |}on August 14, 2019 (ECF No. 30) to allow Defendants to designate a replacement police 4 || expert witness in place of their currently designated expert (and rebuttal expert) Thomas 5 || Frazier, who has become unavailable due to a grave medical condition, by April 16, 2020, 6 || accompanied on that date by the new expert’s F.R.Civ.P. Rule 26(a)(2) report, is approved 7 || and granted pursuant to the conditions and terms set forth in said stipulation and as set 8 || forth above. 10 || IT IS SO ORDERED. ‘|| Dated: _ April 16, 2020 [fey — 12 UNITED STATES MAGISTRATE JUDGE 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Caca Non 1°18-ceuv_0N1942_T □□□□□□□

Document Info

Docket Number: 1:18-cv-01268

Filed Date: 4/16/2020

Precedential Status: Precedential

Modified Date: 6/19/2024