United States District Court, D. Nevada
COGBURN LAW OFFICES, Jamie S. Cogburn, Esq., Attorneys for
& WILMER, LLP, Bradley T. Austin, Esq. Attorneys for
Defendant Equifax Information Services, LLC
ROCA ROTHGERBER CHRISTIE, LLP, J. Christopher Jorgensen,
Attorneys for Defendant Santander Consumer USA, Inc.
G. Revzin, Esq., Attorneys for Defendant TransUnion, LLC
& BRASTER, Jennifer L. Braster, Esq., Attorneys for
Defendant Experian Information Solutions, Inc.
RENEWED DISCOVERY PLAN AND SCHEDULING ORDER SUBMITTED
IN COMPLIANCE WITH LR 26-1(B)
Tawnya Nilsen (“Plaintiff”), Defendant Equifax
Information Services, LLC (“Defendant Equifax”),
Defendant Santander Consumer USA, Inc. (“Defendant
Santander”), Defendant Transunion, LLC
(“Defendant Transunion”) and Defendant Experian
Information Solutions, Inc. (“Defendant
Experian”), held a telephonic conference on April 26,
2018, and by and through their respective counsel of record,
file this, their Stipulated Discovery Plan and Scheduling
Order pursuant to Fed.R.Civ.P. 26(f) and Local Rule 26-1.
FED. R. CIV. P. 26(A) INITIAL DISCLOSURE:
have agreed to exchange initial disclosures no later than May
10, 2018, which is 14 days after the Rule 26 Conference was
held. The parties expressly agree any document productions
shall be bates-stamped with the parties' respective
identifying bates system. Other than this, no changes are
necessary in the form or requirement for disclosures under
ESTIMATE OF TIME REQUIRED FOR DISCOVERY:
will take 180 days from March 6, 2018, which is the date
Defendant Equifax filed their Answer to Plaintiff's
Complaint, the first responsive pleading. Accordingly, all
discovery must be completed no later than September 4, 2018.
The parties may conduct discovery within the scope of
Fed.R.Civ.P. 26(b). Subject to the foregoing, discovery need
not be limited or focused on particular issues or conducted
AMENDING THE PLEADINGS AND ADDING PARTIES:
stated herein or ordered by the Court, the date for filing
motions to amend the pleadings or to add parties shall not be
later than 90 days prior to the discovery cut-off date, and
therefore not later than June 6, 2018.
FED. R. CIV. P. 26(A)(2) ...