Case 1 :04-cv—00927-KAJ Document 43 Filed 03/17/2005 Page 1 of 2
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELAWARE
r`1é`ai T;
Plaintiff
v. C.A. No. 04-0927 KA]
CHOICE HOTELS [NTERNATIONAL, TNC.
dfb/a COMFORT INN, COMFORT INN and :
RESORT HOTEL, LLC 1
Defendants
SECOND STIPULATION T0 AMEND SCHEDULING ORDER
The parties, by and through their attorneys and subject to the Court’s approval, hereby
stipulate and agree to amend, by extending certain deadlines for Forty Five (45) days, the October
29, 2004 Scheduling Order, as amended by stipulation Iiled with the Court F ebruary 23, 2005,
entered in this matter as follows:
l. The parties shall tile their initial Federal Rule of Civil Procedure 26(a)(2)
disclosures of expert testimony on or before May 6, 2005.
2. Any supplemental disclosure to contradict or rebut evidence on the same subject
matter identified by another party in a Federal Rule of Civil Procedure 26(a)(2) disclosure is due
on or before June 6, 2005.
3. All discovery in this case shall be initiated so that it will be completed on or
before July 21, 2005.
4. In all other respects, the October 29, 2004 Scheduling Order shall remain in full
force and effect.
Case 1 :04-cv—00927-KAJ Document 43 Filed 03/17/2005 Page 2 of 2
Respectfully submitted,
PHILLIPS, GOLDMAN & SPENCE, PA. MURPHY, SPADARO & LANDON
W "â€â€™ I
-. 4 I ( 4*2mM I "‘·*"’
_ { sephll. F an, 111, Esquire (#3945) Roger D. Landon, Esquire (#2460)
200 North Broom Street 101 1 Centre Road, Suite 210
Wilmington, DE 19806 Wilmington, DE 19805
(302) 65 5-4200 (302) 472-8100
Attomey for Plaintiff Attomey for Defendants
IT IS HEREBY so ORDERED.
Date:_________ ______M*______
The Honorable Kent A. Jordan