# Sweeden v. Sandy Logistics, Inc.

> District Court, E.D. California · November 18, 2024

URL: https://www.frixlaw.com/law-library/cases/10752337

## Case

- **Court:** District Court, E.D. California
- **Decided:** November 18, 2024
- **Opinion:** 100trialcourt
- **Cited by:** 0 later opinions in the Frix Law Library

## Citator (automated)

- No negative treatment found by the automated citator. That is not the same as a confirmation that the case is good law; read the citing cases.
- Full citator and citing cases: https://www.frixlaw.com/law-library/cases/10752337

## Opinion text

1 Jesse R. Fretwell, SBN 272058
FREEDMAN LAW
2 3705 W. Beechwood Avenue
Fresno, California 93711
3 Telephone No.: (559) 447-9000
Facsimile No.: (559) 447-9100
4 Electronic Mail: eService@freedmanlaw.com

5 Attorneys for Plaintiffs
RUSSELL SWEEDEN and THERESA DUNN
6

7

8 UNITED STATE DISTRICT COURT

9 EASTERN DISTRICT OF CALFORNIA

10 RUSSELL SWEEDEN; THERESA DUNN, Case No.: 1:23-cv-01134-BAM

11 Plaintiffs, PARTIES’ STIPULATION TO
CONTINUE DATES FOR
12 v. DESIGNATION OF EXPERTS;
[PROPOSED] ORDER
13 SANDY LOGISTICS, INC.; SANDY
LOGISTICS, LLC; HANNAH FRANK ATA; Pre-Trial Conference: July 16, 2025
14 and DOES 1 to 30, Inclusive Jury Trial: September 15, 2025

15 Defendants.

16

17
18
19 This stipulation to extend current expert disclosure and discovery deadlines is made by
20 and between counsel for Plaintiffs Russell Sweeden and Theresa Dunn and counsel for
21 Defendants Sandy Logistics, Inc. and Hannah Frank Ata.
22 RECITALS
23 The parties agree that to facilitate and complete full discovery in this case, the expert
24 disclosure and expert discovery deadlines currently set by the Court’s Pre-Trial Scheduling Order
25 (ECF Document No. 18) should be extended. Such extension will have no effect on the jury trial
26 date in this case.
27 WHEREAS a mediation is currently scheduled for November 20, 2024 at 8:30 a.m. before
28 mediator Robert N. Dobbins. The parties find it in their mutual best interest or are otherwise
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1 agreeable to modify the dates for various tasks to be accomplished and wish to modify those dates
2 to accommodate scheduling.
3 STIPULATION
4 THEREFORE, the parties do hereby stipulate and propose the following extended dates,
5 by and through their counsel as follows:
6 1. The original Expert Disclosure was November 15, 2024. The parties agree to
7 disclose experts on December 4, 2024.
8 2. The original Supplemental Expert Disclosure was December 18, 2024. The parties
9 agree to extend the date for Supplemental Expert Disclosure to January 7, 2025.
10 3. The original Expert Discovery Cutoff was January 31, 2025. The parties agree to
11 extend the date for Expert Discovery Cutoff to February 14, 2025.
12 4. The parties agree that per the Scheduling Order, that the Pretrial Conference
13 remain set on July 16, 2025 at 9:00 a.m. and that the Jury Trial remain set on September 15, 2025
14 at 8:30 a.m. in Courtroom 8.
15 Dated: November 15, 2024 FREEDMAN LAW
16 /s/ Jesse R. Fretwell
17 By: ______________________________
Jesse R. Fretwell, Esq.
18
Attorneys for Plaintiffs
19 RUSSELL SWEEDEN
and THERESA DUNN
20

21 Dated: November 15, 2024 HAIGHT BROWN & BONESTEEL, LLP
22 /s/ Helen H. Lee
23 By: ______________________________
Helen H. Lee, Esq.
24 Attorneys for Defendants
SANDY LOGISTICS, LLC
25
and HANNAH FRANK ATA
26
27
28
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PROOF OF SERVICE
1

2 SWEEDEN, Rusell, et al. v. Sandy Logistics, Inc., et al.
United States District Court Case No.: Case No.: 1:23-cv-01134-BAM
3
I am a resident of the State of California, over the age of eighteen years, and not a party
4 to the within action. My business address is 3705 W. Beechwood Avenue, Fresno, California,
93711.
5

6 On November 15, 2024, I served the within documents:

7 PARTIES’ STIPULATION TO CONTINUE DATES FOR
8 DESIGNATION OF EXPERTS; [PROPOSED] ORDER

9 BY FACSIMILE: pursuant to California Code of Civil Procedure section 1013 and
☐
California Rules of Court 2001 through 2009.
10
BY HAND: by personally delivering the document(s) listed above to the person(s) at the
☐
11 address(es) set forth below.
BY MAIL: by placing the document(s) listed above in a sealed envelope with postage
12 ☐
thereon fully prepaid, in the United States mail at Fresno, California addressed as set forth below.
13 BY OVERNIGHT MAIL: by causing document(s) to be picked up by an overnight
☐
delivery service company for delivery to the address(es) on the next business day.
14
BY PERSONAL DELIVERY: by causing personal delivery by ____________ of the
☐
15 document(s) listed above to the person(s) at the address(es) set forth below
BY CM/ECF NOTICE OF ELECTRONIC FILING: I electronically filed the document(s)
16 ☒
with the Clerk of the Court by using the CM/ECF system. Participants in the case are registered
17 CM/ECF users and will be served by the CM/ECF system. Participants in the case who are not
registered CM/ECF users will be served by mail or by other means permitted by the Court rules.
18
SEE SERVICE LIST
19

20 I am readily familiar with the firm’s practice of collection and processing correspondence
for mailing. Under that practice it would be deposited with the U.S. Postal Service on that same
21 day with postage thereon fully prepaid in the ordinary course of business. I am aware that on
motion of the party served, service is presumed invalid if postal cancellation date or postage meter
22
date is more than one day after date of deposit for mailing in affidavit.
23
XX [State] I declare under penalty of perjury under the laws of the United States of America that
24 the above is true and correct.

25
Executed on November 15, 2024, at Fresno, California.
26
/s/ Grace Montelongo
27 _______________________________
Grace Montelongo
28
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SERVICE LIST
1

2 Krsto Mijanovic, Esq.
Helen H. Lee, Esq.
3 HAIGHT BROWN & BONESTEEL, LLP
555 South Flower Street, 45th Floor
4
Los Angeles, California 90071
5 Telephone No.: (213) 542-8000
Facsimile No.: (213) 542-8100
6 Email service list: kmijanovic@hbblaw.com; hlee@hbblaw.com; ymartinez@hbblaw.com;
edocs@hbblaw.com
7
Attorneys for Defendants
8 SANDY LOGISTICS, LLC and HANNAH FRANK ATA

9

10

11

12

13

14

15
16

17

18
19

20

21

22

23

24

25

26

27

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1 ORDER
2 On November 15, 2024, the parties filed the instant stipulation requesting a modification
3 of the Scheduling Order. The parties note that a mediation is scheduled for November 20, 2024,
4 but do not discuss good cause for amendment of the scheduling order. See Gerawan Farming,
5 Inc. v. Rehrig Pac. Co., No. 1:11-CV-01273-LJO, 2013 WL 645741, at *5 (E.D. Cal. Feb. 21,
6 2013) (“…settlement negotiations are not good cause to modify a Scheduling Order…
7 Settlement discussions, in and of themselves, are not good cause.”); Eckert v. City of
8 Sacramento, No. 2:0-7C-V00825 GEB GGH, 2009 WL 3211278, at *2 (E.D. Cal. Sept. 30,
9 2009) (“Moreover, ongoing settlement negotiations do not constitute good cause justifying
10 modification of the pretrial scheduling order in this case.”); Lehman Bros. Holdings v. Golden
11 Empire Mortg., Inc., No. 1:09-CV-01018LJO JLT, 2010 WL 2679907, at *2 (E.D. Cal. July 2,
12 2010) (noting that “settlement discussions generally are not an “unanticipated” development…”
13 and therefore the parties’ ongoing settlement discussions “did not constitute good cause to
14 modify the Scheduling Order.”).
15 Nevertheless, in the interest of justice and given the limited extensions of time
16 requested, the parties’ request is GRANTED. Accordingly, the scheduling order is modified as
17 follows: Expert Disclosure is extended from November 15, 2024 to December 4, 2024;
18 Supplemental Expert Disclosure is extended from December 18, 2024 to January 7, 2025;
19 Expert Discovery Cutoff is extended from January 31, 2025 to February 14, 2025. The Pretrial
20 Motion Filing Deadline remains March 14, 2025; Pretrial Conference remains set for July 16,
21 2025 at 9:00 a.m. in Courtroom 8 (BAM); and Jury Trial remains set for September 15, 2025 at
22 8:30 a.m. in Courtroom 8 (BAM). The Court will not grant further continuances, absent good
23 cause, which will be narrowly construed.

24
IT IS SO ORDERED.
25
Dated: November 18, 2024 /s/ Barbara A. McAuliffe _
26
UNITED STATES MAGISTRATE JUDGE
27
28
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Source: Frix Law Library, https://www.frixlaw.com/law-library/cases/10752337. Public record. Not legal advice.
