On December 08, 2021 a
Motion-Secondary
was filed
involving a dispute between
Hill, Ashley,
and
Manley, Brenden James,
for MOTOR VEHICLE ACCIDENT
in the District Court of Dallas County.
Preview
CAUSE NO. DC-21-17590
ASHLEY HILL, IN THE DISTRICT COURT
§§§§§§§§§§§§
Plaintiff,
BRENDEN JAMES MANLEY, 134TH JUDICIAL DISTRICT
Defendant/Counter Plaintiff,
ASHLEY HILL,
Plaintiff/Counter-Defendant. DALLAS COUNTY, TEXAS
AGREED SCHEDULING ORDER
Unless otherwise ordered, discovery in this case will be controlled by: Rule 190.3
(Level 2) of the Texas Rules of Civil Procedure:
October 28, 2022 JOINDER: No additional parties may be joined on or after this
date except on motion for leave showing good cause. This
paragraph does not otherwise alter the requirements of Rule 38.
The party joining an additional party shall serve copy of this
Order on the new party concurrently with the pleading joining
that party.
January 25, 2023 AMENDED PLEADINGS: Any amended pleadings asserting
new causes of action or affirmative defenses must be filed no
later than this date.
February 24, 2023 DISPOSITIVE MOTIONS: Dispositive motions, including but
not limited to motions for summary judgment shall be filed by
this date.
November 28, 2022 DEADLINE for any Party seeking affirmative relief to designate
experts as per Tex.R.CiV.P. 194.2 (f)
December 27, 2022 DEADLINE for any Party opposing affirmative relief to
designate experts as per Tex.R.Civ.P 194.2(f).
AGREED SCHEDULING ORDER Page 1
March 3, 2023 OBJECTION TO EXPERT TESTIMONY: Any objection 0r
motion to exclude or limit expert testimony due to qualification
of the expert or reliability of the opinions must be filed no later
than this date.
January 2, 2023 MEDIATION DEADLINE: The parties shall mediate this by this
date.
February 24, 2023 DISCOVERY PERIOD ENDS. All discovery must be
conducted before the end of the discovery period. Parties
seeking discovery must serve requests sufficiently far in advance
of the end of the discovery period so that the deadline for
responding Will be Within the discovery period.
March 3, 2023 MOTION TO COMPEL: Any motion to compel responses to
discovery (other than relating to factual matters arising after the
end of the discovery period) must be filed no later than this date
or such complaint is waived, except for the sanction of exclusion
under Rule 193.6.
March 23, 2023 PRE-TRIAL PLEADINGS
March 27, 2023 JURY TRIAL.
9:00 a.m.
The parties may alter any deadline contained in this Agreed Scheduling Order,
other than the Trial Setting, by a written agreement signed by each party.
SIGNED this day of 2022.
PRESIDING JUDGE
AGREED SCHEDULING ORDER Page 2
AGREED TO AS TO FORM
FIELDING LAW, PLLC
/ s/ Sikandar Mehr
SIKANDAR MEHR
State Bar No. 24094840
18601 Lyndon B. Johnson Freeway
Town East Tower, Suite 315
Mesquite, Texas 75150
Telephone: 214.666.8625
Fax: 214.279.6439
eservice@fieldinglaw.com
ATTORNEY FOR COUNTER PLAINTIFF
BRENDEN JAMES MALEY
LISA CHASTAIN 8: ASSOCIATES
/s/ Russell Jones III w/ permission
RUSSELL JONES III
State Bar No. 24084318
P.O. Box 655441
Dallas, Texas 75265
Telephone: 214.659.4305
Fax: 877.678.4763
DallasLegal@allstate.com
ATTORNEY FOR COUNTER DEFENDANT
ASHLEY HILL
AGREED SCHEDULING ORDER Page 3
DASPIT LAW FIRM, PLLC
/s/ Zohra I. Mavani w/ permission
ZOHRA I. MAVANI
State Bar No. 24108393
600 Pearl Street, Suite 2205
Dallas, Texas 75201
Telephone: 469.206.8210
Fax: 713.587.9086
mavani@daspitlaw.com
ATTORNEY FOR PLAINTIFF
ASHLEY HILL
WILSON, ELSER, MOSKOWITZ, EDELMAN 8:
DICKER, L.L.P
/s/M0rg£m Wood w/ permission
JARAD KENT
State Bar N0. 24062824
Morgan Wood
State Bar No. 24106598
901 Main Street, Suite 4800
Dallas, Texas 75202
Telephone: 214.698.8000
Fax: 214.698.1101
Iarad.kent@wilsonelser.corn
Morgan.wood@wilsonelser.com
ATTORNEY FOR DEFENDANT
BRENDEN JAMES MANLEY
AGREED SCHEDULING ORDER Page 4
Automated Certificate of eService
This automated certificate of service was created by the efiling system.
The filer served this document via email generated by the efiling system
on the date and to the persons listed below. The rules governing
certificates of service have not changed. Filers must still provide a
certificate of service that complies with all applicable rules.
Macey Raibley on behalf of Sikandar Mehr
Bar No. 24094840
macey@fieldinglaw.com
Envelope ID: 65185330
Status as of 6/7/2022 9:23 AM CST
Associated Case Party: ASHLEY HILL
Name BarNumber Email TimestampSubmitted Status
DLF Intake intake@daspitlaw.com 6/7/2022 9:14:51 AM SENT
Alma Lira Alira@proactivelegal.com 6/7/2022 9:14:51 AM SENT
Jaime Holder jholder@proactivelegal.com 6/7/2022 9:14:51 AM SENT
John Daspit e-service@daspitlaw.com 6/7/2022 9:14:51 AM SENT
John Shim dallaslegal@allstate.com 6/7/2022 9:14:51 AM SENT
Zohra Mavani mavani@daspitlaw.com 6/7/2022 9:14:51 AM SENT
Maleeza Silva maleeza@daspitlaw.com 6/7/2022 9:14:51 AM ERROR
Case Contacts
Name BarNumber Email TimestampSubmitted Status
Clayton Parry eservice@fieldinglaw.com 6/7/2022 9:14:51 AM SENT
Francine Ly fly@dallascourts.org 6/7/2022 9:14:51 AM SENT
Associated Case Party: BRENDENJAMESMANLEY
Name BarNumber Email TimestampSubmitted Status
Jarad Kent jarad.kent@wilsonelser.com 6/7/2022 9:14:51 AM SENT
Erin Blair erin.blair@wilsonelser.com 6/7/2022 9:14:51 AM SENT
Morgan Wood morgan.wood@wilsonelser.com 6/7/2022 9:14:51 AM SENT
Document Filed Date
June 07, 2022
Case Filing Date
December 08, 2021
Category
MOTOR VEHICLE ACCIDENT
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