United States District Court for the Northern District of California, 2025

Berger v. State Farm General Insurance Company

Berger v. State Farm General Insurance Company
United States District Court for the Northern District of California · Decided January 8, 2025
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.