Free Joint Case Management Statement - District Court of California - California


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Date: March 27, 2008
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State: California
Category: District Court of California
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Case 3:07-cv-05005-JCS

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JEFFREY S. BUCHOLTZ Acting Assistant Attorney General SCOTT N. SCHOOLS United States Attorney R. MICHAEL UNDERHILL Attorney in Charge, West Coast Office Torts Branch, Civil Division JEANNE M. FRANKEN Trial Attorney Torts Branch, Civil Division GEOFFREY D. OWEN Trial Attorney Torts Branch, Civil Division U.S. Department of Justice 7-5395 Federal Bldg., P.O. Box 36028 450 Golden Gate Avenue San Francisco, California 94102-3463 Telephone: (415) 436-6644; (415) 436-6646 E-mail: jeanne, [email protected] [email protected] Attorneys of Defendant United States of America LYLE C. CAVIN, JR. SBN 44958 RONALD H. KLEIN, SBN 32551 LAW OFFICES OF LYLE C. CAVIN, JR. 70 Washington Street, Suite 325 Oakland, CA 94607 Telephone: (510) 444-2501 Attorneys for Plaintiff DAVID N. ERIKSEN
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION

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DAVID N. ERIKSEN, Plaintiff,
V.

) ) IN ADMIRALTY ) )

) Civil No. C 07-05005-JCS

UNITED STATES OF AMERICA, Defendant.

) SUPPLEMENTAL ) JOINT CASE MANAGEMENT ) STATEMENT ) DATE: April 4, 2008 ) TIME: 10:30 a.m.

Counsel for the parties hereby jointly submit a supplemental case management statement, as directed by the Court, in advance of the second case management
SUPPLEMENTAL JOINT CASE MANAGEMENT STATEMENT C-07-05005-JCS

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Case 3:07-cv-05005-JCS

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conference which is presently scheduled to take place on Friday, April 4, 2008 at 10:30
a,m.

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A settlement conference has been scheduled by Magistrate Judge James for April 29, 2008, a date which falls after the April 11, 2008 deadline for the conference previously indicated by the Court. The Court has limited the discovery the parties can

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leave to conduct an inspection of the relevant area of the vessel, assuming the ship is The parties have continued to exchange documents informally, and have each served a set of written discovery. The Government also subpoenaed records from one of plaintiff' s medical providers, but those medical records, which were just received, have numerous and large redactions. The plaintiff' s deposition is just being conducted on March 27, 2008, because he was working on a ship which was at sea and his noticed deposition accordingly had to be continued until his return. Plaintiff is desirous of taking the deposition of one of his former crew mates on the Government's ship, but that seaman is reportedly no longer working for the Government's ship operator. The parties will

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SUPPLEMENTAL JOINT CASE MANAGEMENT STATEMENT

C-07-05005-JCS

Case 3:07-cv-05005-JCS

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endeavor to locate the witness, and secure his cooperation or subpoenae him for a deposition. Dated: March/' 2008 JEFFREY S. BUCHOLTZ Acting Assistant Attorney General SCOTT N. SCHOOLS United States Attorney R. MICHAEL UNDERHILL Attorney in Charge, West Coast Office Torts Branch, Civil Division

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M. FRANKEN tl Attorney Torts Branch, Civil Division GEOFFREY D. OWEN Trial 2ivil Division Torts at of Justice U.S. D~ efendant America Dated: March 2008
OF LYLE C. CAVIN, JR.

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SUPPLEMENTAL JOINT CASE MANAGEMENT STATEMENT C-07-05005-JCS

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