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  • Carlos Ramirez and Helen Moon vs. State Farm Mutual Automobile Insurance CompanyInjury or Damage Involving Motor Vehicle document preview
  • Carlos Ramirez and Helen Moon vs. State Farm Mutual Automobile Insurance CompanyInjury or Damage Involving Motor Vehicle document preview
  • Carlos Ramirez and Helen Moon vs. State Farm Mutual Automobile Insurance CompanyInjury or Damage Involving Motor Vehicle document preview
  • Carlos Ramirez and Helen Moon vs. State Farm Mutual Automobile Insurance CompanyInjury or Damage Involving Motor Vehicle document preview
						
                                

Preview

Filed 7/26/2019 2:29 PM Beverley McGrew Walker District Clerk Fort Bend County, Texas Autumn Dolnik CAUSE NO. 17-DCV-245456 CARLOS RAMIREZ and HELEN IN THE DISTRICT COURT MOON, Plaintiffs, VS. 458™ JUDICIAL DISTRICT STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY, Defendant. FORT BEND COUNTY, TEXAS ORDER GRANTING MOTION FOR LEVEL THREE DISCOVERY CONTROL PLAN On this day came on to be heard the parties’ Agreed Motion for Level Three Discovery Control Plan. The Court finds that the motion should be GRANTED. It is therefore, ORDERED that pursuant to Rule 190.4 of the Texas Rules of Civil Procedure, the following discovery control plan governs the above styled cause: 1 That Plaintiff shall designate all expert witnesses in accordance with Tex. R. Civ. P. 194.2(f) on or before December 2, 2019. That Defendant shall designate all expert witnesses in accordance with Tex. R. Civ. P. 194.2(f) on or before January 2, 2020; That all discovery shall be completed on or before February 2, 2020; 4. That a Pre-Trial hearing will be on March 2, 2020 at 1:30 p.m.; and 5 That this case be set for trial for on March 17, 2020 at 9:00 a.m. The parties may modify this discovery control plan at any time by entering into a Rule 11 Agreement, without resort to the Court. Modifications by agreement should be in writing and filed herein or, shall be made on the record in open Court or, shall be stated as “proceedings on the record” at a deposition, with the transcript of the court reporter filed herein. This discovery control plan may be modified by the Court Oupon its own motion or the motion of a party, after hearing. ROUTED TO COURT 7/26/2019 AD RT'D TO D. CLERK SIGNED this day of , 2019. JUDGE Approved as to form and substance and requested for entry: D. MILLER & ASSOCIATES, PLLC By: AE Andy Rubenstein State Bar No. 17360375 Anuj Kapur State Bar No. 24103706 2610 West Sam Houston Parkway Second Floor Houston, Texas 77042 713-850-8600 (Office) 713-467-0306 (Facsimile)andy@dmillerlaw.com anuj@dmillerlaw.com ATTORNEYS FOR PLAINTIFFS HUGES ARRELL KINCHEN LLP By: oli, Sdeaga Luis A. Fabrega State Bar No. 00790660 1221 McKinney, Suite 3150 lfabrega@hakllp.com Houston, TX 77010 COUNSEL FOR DEFENDANT