Berger v. State Farm General Insurance Company
Trial Court Opinion
1 || David B. Parker (SBN 72192) [email protected] || Bruce T. Smyth (SBN 89171) [email protected] ||] PARKER SHAFFIE LLP 800 W. 6" Street, Suite 500 || Los Angeles, California 90017 Telephone: (213) 622-444] || Facsimile: (213) 622-1444 || Attorneys for Plaintiffs MATTHEW BERGER, an individual, and || DAWN BERGER, an individual || Todd A. Roberts, Esq. [email protected] || Alexandria C. Carraher, Esq. [email protected] || ROPERS MAJESKI PC Middlefield Road, Suite 245 || Menlo Park, CA 94025 || Attorneys for Defendant STATE FARM GENERAL INSURANCE COMPANY UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA MATTHEW BERGER, an individual, and Case No. 24-cv-02060-HSG || DAWN BERGER, an individual, JOINT STIPULATION TO EXTEND 19 Plaintiff, EXPERT DISCLOSURE DATE AND ORDER || v. || STATE FARM GENERAL INSURANCE COMPANY, an Illinois Corporation, and || DOES 1 through 10, inclusive, 23 Defendant.
95 Plaintiffs Matthew Berger and Dawn Berger and Defendant State Farm General Insurance || Company (collectively, the “Parties”) respectfully submit this Joint Stipulation to Extend Expert || Disclosure Date from January 10, 2025 to February 10, 2025.
28 The Parties respectfully request that the Court extend the Expert Disclosure Date from || January 10, 2025 to February 10, 2025, to allow the Defendant to conduct an inspection of the || Plaintiffs’ home which is the location of the property damage at issue on January 9, 2025, and || incorporate the results of that inspection into its disclosure. The extension will also allow both || Parties, and their experts, additional time to complete their disclosures based on other fact || discovery that will be completed after the mediation. This extension will not affect the other || deadline dates in this matter. A proposed Order is attached hereto.
8 Respectfully submitted, |] DATED: January 6, 2025 PARKER SHAFFIE LLP By: /s/ Bruce T. Smyth 13 David B. Parker Bruce T. Smyth 14 Attorneys for Plaintiffs DATED: January 6, 2025 ROPERS MAJESKI PC By: /s/ Alexandria C. Carraher 19 Todd A. Roberts 20 Alexandria C. Carraher Attorneys for Defendant 2296915 2 Case No. 24-cv-02060-HSC 1 ORDER 2 Having considered the Joint Stipulation to Extend Expert Disclosure Date submitted by the || Parties, the Court continues the Expert Disclosure Date from January 10, 2025 to February 10, || 2025.
6 IT IS SO ORDERED.
8 |] Dated: 1/8/2025 — Aepuel 8 bbl 9 ED STATES DISTRICT JUD 2296915 3 Case No. 24-cv-02060-HSC
Case-law data current through December 31, 2025. Source: CourtListener bulk data.