On May 12, 2021 a
Motion-Secondary
was filed
involving a dispute between
Wheeler, Ray Dean,
and
Galletti, Charles Bernard,
Reed, Dylan Dwayne,
for Injury/Damage - Motor Vehicle
in the District Court of Galveston County.
Preview
Received: 10/13/2021 6:28 PM
Envelope No. 58167917
21-CV-0634
CAUSE NO. ________________
Ray Dean Wheeler
________________________________ § IN THE JUDICIAL DISTRICT COURT
vs. § OF GALVESTON COUNTY, TEXAS
Dylan Dwayne Reed and
________________________________ § 405TH DISTRICT COURT
Charles Bernard Galletti
DISCOVERY AND DOCKET CONTROL ORDER
1. ________________
11.22.2021 New Parties shall be joined and served by this date.
2. ________________
12.22.2021 EXPERTS for all Plaintiffs shall be designated by this date.
01.21.2022
3. ________________ EXPERTS for all OTHER PARTIES shall be designated by this date (30 days
after date Plaintiff’s 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.
02.21.2022
4. ________________ 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.
___________ 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 maybe served by any party on another party:
___________ (Excluding interrogatories asking a party to identify or
authenticate specified documents).
X
___________ Level Two-(Rule 190.3) Discovery shall be completed the earlier of 30 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 maybe served by any party on another party:
_______________ (Excluding interrogatories asking a party to identify or
authenticate specified documents).
01.21.2022
5. ________________ Pleadings must be amended or supplemented by this date, except by written
agreement of all parties.
6. ________________
02.21.2022 Mediation shall be completed by this date. Objections to mediation of the case
must be filed within thirty days of this date. Within 5 days of mediating the case,
the parties must file a joint statement to the court that they have mediated in
good faith and include the date of mediation.
7. ________________
02.07.2022 DEADLINE TO FILE ALL MOTIONS, except Motions in Limine, AND
FOR MOVANT TO SECURE DATES AND TIMES FOR HEARINGS. NO HEARINGS WILL
BE SET UNTIL A MOTION AND REQUEST TO SET HEARING ARE ON FILE WITH THE
CLERK. This includes motions to exclude expert testimony and any other challenges to expert
testimony. (Six weeks prior to pre-trial)
8. 02.28.2022
________________ at ___________
09:00 _____.M.
A Pre-Trial Conference set. At least 3 days before
pretrial, parties must file any written objections to witnesses, exhibits or motion in limine. All
objections will be heard at pretrial conference. Court will also hear announcement of parties and
written motions to continue at this setting. Failure to appear will be grounds for dismissal for
want of prosecution or default judgment.
9. 03.21.2022
________________ at ___________ _____. M. Trial by Jury is set for two-week docket commencing
09:00 A
on this date. At least one week prior to pretrial, parties are ordered to exchange the following
and discuss what the parties will agree to and what issues are contested:
X
_______Proposed jury charge or findings of fact and conclusions of law
X
_______Motion in Limine
X
_______Exhibit list
X
_______Labeled and numbered exhibits
X
_______Witness lists (inform court at earliest opportunity of scheduling
problems relating to witnesses)
03.21.2022
10. __________________ at _________
09:00 A
______.m. Trial before Court is set.
Proposed Findings of Fact and Conclusions of Law to be exchanged prior to trial date.
SIGNED on ________________________________________________, 2__________.
________________________________________
JARED S. ROBINSON, JUDGE
405TH JUDICIAL DISTRICT COURT
SIGNED by Counsel and/or Pro Se parties:
______________________________________ /s/: with permission: John Powell
_______________________________________
______________________________________ _______________________________________
______________________________________ _______________________________________
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.
Candace McCullough on behalf of David Romagosa
Bar No. 24047493
candace@fbtrial.com
Envelope ID: 58167917
Status as of 10/14/2021 8:02 AM CST
Case Contacts
Name BarNumber Email TimestampSubmitted Status
David Romagosa 24047493 david@fbtrial.com 10/13/2021 6:28:24 PM SENT
John Sanford Powell 16203000 johnspowell@sbcglobal.net 10/13/2021 6:28:24 PM SENT
Candace McCullough candace@fbtrial.com 10/13/2021 6:28:24 PM SENT
Document Filed Date
October 13, 2021
Case Filing Date
May 12, 2021
Category
Injury/Damage - Motor Vehicle
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