Free Report of Rule 26(f) Planning Meeting - District Court of Connecticut - Connecticut


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Date: June 17, 2004
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Case 3:03-cv-OOEWTWWE Document 27 Filed O642T>{2004 Page 1 of 3
UNITED STATES DISTRICT COURT
DISTRICT OF CONNECTICUT
RAYMOND PASZKOWSKI, :
_ Plaintiff 2
VS. CIVIL NO.3:03CV007l7(WWE)
PHILIP KIRPAS, `
WILLIAM KESBARIAN, :
RYAN O‘CONNEL AND :
EDWARD DOBBINS 1
Defendants : JUNE 8, 2004
FORM 26(f)
REVISED REPORT OF PARTIES' PLANNING MEETING
Pursuant to Fed. R. Civ. P. 16(b), 26(f) and D. Corin. L. Civ. R. 16, a status conference was held
on May 6, 2004 before Judge Eginton. The participants were Norman A. Pattls for the plaintiff and Patty G.
Swan for the defendants. Pursuant to the order of the court, the parties provide this revised report
pertaining to the Case Management Plan:
F. DISCOVERY
I t. The parties anticipate that discovery will be needed on the following subjects: the force used at
N the time of the arrest,·the defendants familiarity with the plaintiff, the plaintiffs prior claim against a
supervising officer of the Shelton Police Department and the extent of injuries to the plaintiff.
i 2. All discovery, including depositions of expert witnesses pursuant to Fed. R. Civ. P. 26(b)(4), will
j be commenced by June 1, 2003, and completed (not propouncled) by August 30, 2004.
- 3. Discovery will not be conducted in phases. A
4. Discovery will be completed by August 30, 2004.
I
3 GORDON, MUIR AND FOLEY] LLP, ATTORNEYS xr Law, H.u.=.·.rFom¤ Squares Noun, Tm: COLUMBUS Boumzvsuu, Haxraotzn, CT 0610 @-1976
` TELEPHONE (BBD) 525-5361 Facstmnz [BBD) 525-4549 Jmus N0. 24029

Case 3:03-cv-OOZ¤r2w—WWE Document 27 Filed 06/?T{2004 Page 2 of 3 1
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5. The parties anticipate that the plaintiff will require a total of three depositions of fact witnesses
and the defendant will require a total of five depositions of fact witnesses. The depositions will commence
by June 1, 2003, and be completed by August 30, 2004.
B. The parties may request permission to serve more than twenty-five interrogatories. _
7. Plaintiff does not intend to call expert witnesses at trial.
8., Defendants may call expert witnesses at trial. Defendants will designate all trial experts and
provide opposing counsel with reports from retained experts pursuant to Fed. R. Civ. P. 26(a)(2) by August
1, 2004, a date not later than one month before the deadline for completing all discovery. Depositions of
such experts will be completed by August 30, 2004, a date not later than the discovery cutoff date.
9. A damages analysis will be provided by any party who has a claim or counterclaim for damages
by July 1, 2004. I
G. DISPOSITIVE MOTIONS: ”
Dispositive motions will be filed on or before September 3, 2004.
I-l. JOINT TRIAL MEMORANDUM
I The joint trial memorandum required by the Standing Order on Trial Memoranda in Civil Cases will
be filed by October 1, 2004 or thirty days alter any ruling on dispositive motions, which ever is later. -
F IV. TRIAL READINESS
Y The case will b.e ready for trial bl! November 1, 2004.
l
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I TEEEEEOEE ima 525‘5BG1 FACSIMILE rEE¤r EEMEEEE _r,,,,,, N., 2,,,,2,,

Case 3:03-cv-OOTVT-WWE Document 27 Filed O6(?`>I2004 Page 3 of 3
As officers ofthe Court, undersigned counsel agree to cooperate with each other and the Court to promote
the just, speedy and inexpensive determination of this action.
THE P NTIFF
BY: D
NORMAN A. PATTIS
Federal Bar No. ol’l3120
51 Elm Street
New Haven, CT 06510
A 203l562-9931
FAX: 203/776-9494
HIS Attorney
Date; é" /i‘
A THE DEFENDANTS
sv; 3 A
i PATTY G. AN -
- Gordon, l\/luir & Foley, LLP
10 Columbus Boulevard
I Harttorczl, CT 06106
y (660) 525-5361 .
Federal Bar No. ct15656
I
l . Date: (O l (E) l I
I

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` ‘ GORDON, MUIR AND FOLEY LLP, Awtonzexrs yr ‘LAW,HAR`1'FGHD Somuaz Numu, TEN Comuuuus Boumvsnn, Hsnrronu, CT 06106-1976
l T1:1.a1=:-tom: (BBD) 525-5361 F.~1cs1m1.E (860) 525-%-19 Jums NQ 24ggg