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  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
  • Maureen E. Hayman vs. Galveston Independent School DistrictContract - Employment document preview
						
                                

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Filed: $4 3/2023 10:50 Alt Envelop8 No. 79496792 9.2 pm 9 4 F MLE “— NO. 23-CV-0928 £3 Sep Maureen ‘E. Hayman IN THE DIST: CT colSoto 3: Vs GALVESTON county, TEMAS Tp Galveston Independent School District SLY 56TH JUDIC: eis A Pt AGREED DI 1L_ ORD! December 1, 2023 NEW PARTIES shall be joined and served by this date. February 23,2024 EXPERTS for all Plaintiffs shall be designated by this date. March 29, 2024 EXPERTS for all OTHER PARTIES shall be designated by this date (80 days from date Plaintiffs experts are ordered to be designated.) Any party designating a testifying expert witness is ORDERED to provide no later than the dates set for such designation the information set forth in Rule 194.2(f) and a written report prepared by the expert setting the substance of the experts opinions, unless a deposition is taken of the expert. An expert not designated prior to the ordered deadlines shall not be permitted to testify absent a showing of good cause. ROBINSON CHALLENGES are to be filed and heard by this date. DISCOVERY deadlines controlled by designation of case. Counsel may by written agreement continue discovery beyond this deadline. Such continued discovery, however, will not delay the trial date without the Court’s approval. re Level One-(Rule 190.2) Discovery shall be completed 30 days before the date set for trial. No. of hours per side for oral depositions: No. of written interrogatories that may be served by any party on another party’ (excluding interrogatories asking a party to identify or authenticate specified documents). Level Two-(Rule 190.3) Discovery shall be completed the earlier of 80 days before the date set for trial or 9 months after the date of the first oral deposition of the due date of the first response to written discovery. Level Three-(Rule 190.4) Discovery shall be completed by this date. No. of hours per side for oral depositions: No. of written interrogatories that may be served by any party on another party’ (excluding interrogatories asking a party to identify or authenticate specified documents). 23-CV-0928 ———~, Depoco Discovery and Docket Control Order Docket Control Order Revised 6/20 1 2645953 | | | ll MM Apeil 5.2024 Pleadings must be amended or supplemented by this date, except by written agreement of all parties. : wut Jdme' & 2024 Mediation shall be completed by this date. Report to be filed with Head court on or before this date. Objections to mediation must be filed. within thirty days of this date (by ) All parties agree to participate in mediation with the following person to serve as mediator: Name: Address Phone: Fax No: July 2024 1, _ All hearing date and times are to be secured by the movant no later than five weeks prior to the Pre-Trial Conference August 52024 _ at 10A.M. Pre-Trial Conference set. Court will only hear announcement of parties and motions to continue at this setting. Failure to appear will be grounds for dismissal for want of prosecution. 10. August 12, 2024 at 9A.M. Trial by Jury is set for the one-week docket commencing on this date. Prior to commencement of voir dire, parties are ordered to exchange the following and discuss what the parties will agree to and what issues are contested: Proposed jury instructions and questions Motion in Limine Exhibit List Labeled and numbered exhibits Witness lists (inform court at earliest opportunity of scheduling problems relating to witnesses) 11 XXXXX, at _10:00. A.M. Bench Trial before Court is set. 12. All counsel-will be required to file a joint report on the 3'4 Monday in January and the 3r4 Monday in July of each year, in all cases involving in excess of 20 parties. Such report shall inform the Court of the remaining parties and claims currently involved in the lawsuit and the current attorney’s name, telephone number, fax number, e-mail address. 13. Any attorney representing a party who files bankruptcy during the pendency of the litigation must submit a written report advising the court of the status of such bankruptcy on the 2"4 Monday in January and the 24 Monday in July. euie COLE Gn & . JUDGE LONNIE COX 56TH JUDICIAL DISTRICT COURT Discovery and Docket Control Order 198 Revised 6/20; * APPROVED: wie BY COUNSEL FOR PLAINTIFF: /s/ Charles Dunkel (by permission) COUNSEL FOR DEFENDANT: J/s/ Celena Vinson, COUNSEL FOR OTHER PARTIES: By requesting entry of this Discovery and Docket Control Order, counsel acknowledge they are aware of the deadlines, and acknowledge there is no guarantee of a continuance. ERTIFICAT: CE I hereby certify that on September 13, 2023, a true and correct copy of the foregoing document was:served on all counsel and pro se parties of record via electronic transmittal, facsimile’ and/or first-class mail in accordance with the Texas Rules of Civil Procedure. /s/ Celena C. Vinson Celena C. Vinson ny 4856-3666-7007, v. 1 Discovery and Docket Cotitrol Order Revised 6/20,.., va) Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer sérved 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. Linda Price on behalf of Celena Vinson , Bar No. 24037651 Iprice@thompsonhorton.com é Envelope ID: 79496796 Filing Code Description: Proposed Order Filing Description: Discovery and Docket Control Order Status as of 9/13/2023 11:13 AM CST Associated Case Party: Galveston Independent School District Name BarNumber | Email TimestampSubmitted Status Linda Price Iprice@thompsonhorton.com 9/13/2023 10:50:36 AM SENT Celena Vinson cvinson@thompsonhorton.com 9/13/2023 10:50:36 AM SENT Vanisia Blackmon vblackmon@thompsonhorton.com 9/13/2023 10:50:36 AM SENT Dena Moghtader dmoghtader@thompsonhorton.com | 9/13/2023 10:50:36 AM. SENT Associated Case Party: MaureenE.Hayman Name BarNumber | Email TimestampSubmitted Status Ashley Thomson athomson@tdunklaw.com | 9/13/2023 10:50:36 AM SENT Charles PDunkel edunkel@tdunklaw.com 9/13/2023 10:50:36 AM SENT Raven Keeler rkeeler@tdunklaw.com 9/13/2023 10:50:36 AM SENT iv