United States District Court, W.D. Washington, Seattle
RUSS J.C. ALMANZOR and BILLIE ANN AGAR, husband and wife, Plaintiffs,
P.E. PRINTECH EQUIPMENT INC., a foreign business entity; P.E. PRINTECH EQUIPMENT (USA), INC., a Minnesota corporation; BRAUSSE GROUP, a foreign business entity; BRAUSSE GROUP NORTHERN DIVISION, a foreign business entity; BRAUSSE GROUP EASTERN DIVISION, a foreign business entity; and SHANGHAI ETERNAL MACHINERY CO., LTD., a foreign business entity, Defendant.
STRITMATTER KESSLER WHELAN KOEHLER MOORE Brad J. Moore,
Daniel R. Laurence Attorneys for Plaintiffs.
FORSBERG & UMLAUF, Kenneth M. Roessler, Martin J. Pujolar
Attorneys for Defendants P.E. Printech Equipment, Inc. and
P.E. Printech Equipment (USA), Inc.
STIPULATED MOTION AND ORDER TO EXTEND DISCOVERY
DEADLINE NOTE FOR MOTION CALENDAR: MARCH 9, 2018
J. Pechman United States District Judge.
and Defendants P.E. Printech Equipment Inc. and P.E. Printech
Equipment (USA), Inc. (collectively, “Stipulating
Parties”), by and through their undersigned counsel,
have conferred on the subject of this motion. Based upon
these discussions, these parties jointly represent the
following to the Court:
Stipulating Parties have scheduled a full-day mediation with
mediator John Cooper to occur on March 23, 2018, and wish to
avoid incurring the expense of depositions prior to that
current discovery cutoff of March 19, 2018, established in
this Court's Order Setting Trial Date and Related Dates
(Dkt. #22). If the mediation does not result in settlement,
the parties wish to conduct additional depositions, to
include the persons identified below.
Third-party lay witnesses and some expert witnesses still
remain to be deposed.
following witnesses are currently scheduled to be deposed
before the current discovery cutoff, on the dates noted:
a. Non-party lay witness Danny Ngyon - March 9, 2018;
b. Non-party lay witness Greg Baker - March 14, 2018;
c. Non-party lay witness Dean Smith - March 14, 2018
4. The following witnesses are currently scheduled to be
deposed after the current discovery cutoff,
a. Defendants' liability expert Gerry Shaefer, P.E. -
March 22, 2018;
b. Plaintiff's liability expert Ken Blundell, Ph.D. -