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  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
  • Lynnette J. Pope v. Alarie Sonnier III and Terrell ReedInjury or Damage Involving Motor Vehicle document preview
						
                                

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GR DCV 280964 ette J. Pope In the District Court of Fort Bend County, Texas Gator Transportation Judici FIRST AMENDED AGREED DOCKET CONTROL ORDER The following docket control order shall apply to this case. The parties have agreed to these dates and agreed that, absent a subsequent or contrary order or agreement of the parties, dates apply pursuant to Rule 11, regardless of whether this order is signed by the Court. Except for the trial date, all deadlines may be amended by express written agreement of the parties. If no date is given, the item is governed by the Texas Rules Civil Procedure. All part es must be added and served, whether by amendment third party practice, by this date. EXPERT WITNESS DESIGNATION. Expert witness designations are required and must be served by the following dates. The designation must include the information listed in Rule 192.2(f). Failure to timely respond will be govemed by Rule 193.6. (a) Experts for parties seeking affirmative relief. All other expert STATUS CONFEREN Parties shall be prepared to discuss all aspects of the case, including ADR, with the court on this date. TIME: Failure to appear will be grounds for dismissal for want or prosecution. ALTERNATE DISPUTE RESOLUTION. ADR conducted pursuant to greement of the parties must be completed by this date. 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 that the deadline for responding will be within the discovery period. Counsel may conduct discovery beyond this deadline by agreement. Incomplete discovery will not delay the trial. ROUTED TO COURT RT'D TO D. CLERK 9/29/22 SJ 6 DISPOSITIVE MOTIONS AND PLEAS. Must be heard by oral hearing or submission. (a) 02/17/2023 If subject to an interlocutory appeal, dispositive motions or pleas must be heard by this date. (b) 02/17/2023 Summary judgment motions not subject to an interlocutory appeal must be heard by this date. (c) 01/18/2023 Rule 166a(i) motions may not be heard before this date. 7. 03/17/2023 CHALLENGES TO EXPERT TESTIMONY. A! motions to exclude expert testimony and evidentiary challenges to expert testimony must be filed by this date, unless extended by leave of court. 8. 03/17/2023 PLEADINGS. A1l amendments and supplements must be filed by this date. This order does not preclude prompt filing of pleadings directly responsive to any timely filed pleadings. Parties shall be prepared by discuss all aspects of trial with the court on this date. 04/07/2023 TIME: a 1:30 P.M. Failure to appear will be grounds for EM dismissal for want of prosecution. 10. 04/18/2023 SIGNED: af (oo.A- Robert Rolnick Judge, 458™ District Court 9/28/2022 DATED: aaa AGREED: THE BROWN LAW FIRM, LLLP DOYENSEBESTA & POELMA, LLLP Three Riverway, Suite 1775 4 CityNorth Houston, TX 77056 16945 Northchase Drive, Suite 1400 713-400-4020 Houston, TX 77060 713-400-4025 (FAX) (713) 580-8900 (713) 580-8910 — Fax By: /s/ Thomas K. Brown sdoyen@ ds-lawyers.com Thomas K. Brown State Bar No. 03175960 jnixon@ ds-lawyers.com tom@ brownfirm.net Dustin T. Sullivan By: _/s/ Scot G. Doyen State Bar No. 24053930 ScotG. Doyen dustin@ brownfirm.net State Bar No. 00792982 Janice G. Jacques State Bar No. 24125633 ATTORNEYS FOR PLAINTIFF ATTORNEY S FOR DEFENDANT GATOR TRANSPORTATION & LOGISTICS, LLC