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  • KAREN MORALES  vs.  NIKALAUS LOYD LAYMON, et alMOTOR VEHICLE ACCIDENT document preview
  • KAREN MORALES  vs.  NIKALAUS LOYD LAYMON, et alMOTOR VEHICLE ACCIDENT document preview
  • KAREN MORALES  vs.  NIKALAUS LOYD LAYMON, et alMOTOR VEHICLE ACCIDENT document preview
  • KAREN MORALES  vs.  NIKALAUS LOYD LAYMON, et alMOTOR VEHICLE ACCIDENT document preview
  • KAREN MORALES  vs.  NIKALAUS LOYD LAYMON, et alMOTOR VEHICLE ACCIDENT document preview
  • KAREN MORALES  vs.  NIKALAUS LOYD LAYMON, et alMOTOR VEHICLE ACCIDENT document preview
						
                                

Preview

CAUSE NO. DC-23-0369l V Karen Morales, § IN THE DISTRICT COURT ' Plaintiff(s), § ‘ § v. § 44‘“ JUDICIAL DISTRICT § NICKLAUS LOYD LAYMON and § GLORIA BUENDIA DIAZ, § Defendant(s). § DALLAS COUNTY, TEXAS AGREED DOCKET CONTROL ORDER The following schedule will be followed in the prosecution of this litigation,~ any pretrial deadline may be extended by agreement of the parties pursuant to Texas Rule of Civil Procedure 11, and a change in the deadline contained herein will not extend any other deadlines unless these deadlines are specifically extended by order of the Court. 1. December 11, 2023 PLAINTIFF’S EXPERT DESIGNATION DUE. The parties may agree to extend this deadline. Must produce reports from retained experts and all information required by Texas Rule of Civil Procedure 194.2(f). 2. January 9, 2024 DEFENDANTS’ EXPERT DESIGNATION DUE. The parties may agree to extend this deadline. Must produce rep01ts from retained experts and all information required by Texas Rule of Civil Procedure 194.2(f). i MEDIATION DEADLINE. The parties must mediate ' 3. February 23, 2024 this case by this date with Ashley Evans. A letter advising the Court of the outcome is due after mediation. I 4. March l 1, 2024 DISCOVERY DEADLINE. All discovery and depositions must be completed by this date. Counsel may initiate discovery beyond this deadline only by agreement. 5. March 19, 2024 AFFIRMATIVE PLEADINGS DEADLINE. With respect to any. claims for affirmative relief, except cross- claims andthird-party claims, parties will amend and/or supplement their pleadings and serve such pleadings upon the other parties, on or before this date. Counsel may serve amended pleadings beyond this deadline only by agreement. 6. March 25, 2024 DEFENSIVE PLEADINGS / CROSS-CLAIMS / THIRD—PARTY CLAIMS. With respect to any claims ' opposing affirmative relief, and any claims seeking contribution, indemnity and/or designating responsible third parties, parties will amend and/or supplement their pleadings or motions and serve such pleadings or motions upon the other parties, on or before this date. Counsel may serve amended pleadings beyond this deadline only by agreement. 7. March 29, 2024 CHALLENGES T O EXPERT TESTIMONY. Deadline for Motions, including Daubert/Robinson Motions to Strike Expert Witness for lack of foundation for opinion, must be filed by this date, unless extended by leave of court. 8. March 8, 2024 ADR HEARING at 10:00 a.m. in the 44th Judicial District Court of Dallas County, Texas. PRETRIAL MOTIONS AND JURY CHARGE. 9_ March 29, 2024 Deadline for parties to exchange Motions in Limine, Motion to Realign parties or to Equalize Peremptory Strikes and proposed Jury charges, must be filed by this date, unless extended by leave of court. 10. April 8, 2024 g TRIAL at 9:30 a.m. in the ‘Monitoring Court, Dallas — County, Texas. Estimated duration of trial: 3-4 days. It is hereby ORDERED that this Agreed Docket Control Order shall control all discovery in this case unless modified by this Court or by joint agreement of all parties in accordance with Texas Rule of Civil Procedure ll. Any date that falls on a weekend or legal holiday shall be moved to the next business day. If no date or limitation on discovery is specified in this order, the item is governed by default by the Texas Rules of Civil Procedure. All matters not specified herein shall be subject to and controlled by the Texas Rules of Civil Procedure and applicable case law. SIGNED on this the 2 :2; day of , 2023. AGREED: 7%\ war Jacob S. Abrego /s/ Micah Pardun with permission Micah P. Pardun Texas Bar No. 24041643 Texas Bar No. 24119608 CESAR ORNELAS THE LAW OFFICE OF CHRYSTI BRYANT 14607 San Pedro Ave. Suite 202 8360 LBJ Freeway, Suite 410 San Antonio, TX Dallas, TX 75243 Telephone: (210) 957-2103 Telephone: (972) 892-4550 Facsimile: (888) 342—8033 Facsimile: (214) 575-5575 Email: jabrego@oiniugylaw.com Email: micah.pardun@kemper.com ATTORNEYS FOR PLAINTIFF ATTORNEYS FOR DEFENDANT