On June 29, 2020 a
Motion-Secondary
was filed
involving a dispute between
2100 Ricchi, Llc,
and
Hillard Office Solutions Of Texas, Ltd.,
The Hilliard Companies, Llc- Series 2,,
for CNTR CNSMR COM DEBT
in the District Court of Dallas County.
Preview
CAUSE NO. DC-20-08845
2100 RICCHI, LLC, IN THE DISTRICT COURT
§§§§§§§§§§§§§§
Plaintiff,
HILLIARD OFFICE SOLUTIONS 19 1 st JUDICIAL DISTRICT
OF TEXAS, LTD. and THE
HILLIARD COMPANIES, LLC —
SERIES 2 f/k/a THE HILLIARD
COMPANIES, LLC,
Defendants. DALLAS COUNTY, TEXAS
SCHEDULING & DISCOVERY CONTROL ORDER
This Court, having considered Plaintiff’s Motion for Entry of Scheduling Order (the
“Motion”), finds that the Motion is well taken and should be GRANTED.
It is therefore ORDERED, ADJUDGED, and DECREED that, in accordance with Rules
166, 190, and 192 of the Texas Rules of Civil Procedure, the Court makes the following order to
control discovery and the schedule of this cause. Deadlines or dates not addressed herein will be
governed by the Texas Rules of Civil Procedure.
1. March 15 2023 JOINDER. A11 parties must be added and served, whether by
THE PARTY
amendment or third party practice, by this date.
CAUSING THE J OINDER SHALL PROVIDE A COPY OF THIS
DOCKET CONTROL & SCHEDULING ORDER.
2. March 31 2023 DESIGNATION OF EXPERTS FOR PARTIES SEEKING
AFFIRMATIVE RELIEF. Expert witness designations for all
experts for parties seeking affirmative relief are required and must
be served by this date. The designation must include the information
listed in Rule 194.2(f). Failure to timely respond will be governed
by Rule 193.6.
April 28, 2023 DESIGNATION OF EXPERTS FOR PARTIES OPPOSING
AFFIRMATIVE RELIEF. Expert witness designations for all
experts for parties opposing affirmative relief are required and must
be served by this date. The designation must include the information
listed in Rule 194.2(f). Failure to timely respond will be governed
by Rule 193.6.
April 28, 2023 ALTERNATIVE DISPUTE RESOLUTION. The case must be
mediator agreed upon by all parties by this date.
May 15, 2023 DESIGNATION OF ANY REBUTTAL EXPERTS. For any
expert witnesses Whose testimony is intended solely to contradict or
rebut on the same subject matter identified by another party’s prior
expert designation, expert Witness designations are required and
must be served by this date. The designation must include the
information listed in Rule 194.2(f). Failure to timely respond Will
be governed by Rule 193.6.
May 15, 2023 PLEADINGS. All 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.
June 15 2023
DISCOVERY LIMITATIONS AND DISCOVERY PERIOD.
(Level 2) The discovery limitations of Rule 190.3 apply to this cause. All
discovery must be conducted before this date, which constitutes 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.
June 30, 2023 DISPOSITIVE MOTIONS AND PLEAS. All dispositive
motions and pleas must be heard or scheduled for submission by
this date.
June 30, 2023 CHALLENGES TO EXPERT TESTIMONY. A11 motions to
exclude expert testimony and evidentiary challenges to expert
testimony must be heard by this date.
July 17, 2023 DOCKET CALL. Parties shall be prepared to discuss all aspects
at 9:00 AM of trial with the court on this date. Failure to appear will be grounds
for dismissal for want of prosecution.
10. July 31, 2023 TRIAL. If not assigned by the second Friday following this date,
the case will be reset.
A11 deadlines other than the trial setting and docket call may be amended by agreement of
the parties. Any party who wishes to obtain a modification of, or leave regarding, any deadlines in
this Order may do so by filing a motion and making the required showing under the Texas Rules
of Civil Procedure.
SIGNED this day of , 2023.
JUDGE PRESIDING
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.
Jean Jones on behalf of John Blakley
Bar No. 24069388
jjones@dunnsheehan.com
Envelope ID: 72968602
Status as of 2/22/2023 9:24 AM CST
Associated Case Party: HILLARD OFFICE SOLUTIONS OF TEXAS, LTD.
Name BarNumber Email TimestampSubmitted Status
Michael KeithBradley, Atty keith@bradleylawyers.com 2/21/2023 3:58:58 PM SENT
Bailee Boyd bboyd@bradIeyhammondlaw.com 2/21/2023 3:58:58 PM SENT
Michael Hammond mhammond@bradleyhammondlaw.com 2/21/2023 3:58:58 PM SENT
Associated Case Party: THE HILLIARD COMPANIES, LLC- SERIES 2,
Name BarNumber Email TimestampSubmitted Status
Michael KeithBradley, Atty keith@bradleylawyers.com 2/21/2023 3:58:58 PM SENT
Case Contacts
Name BarNumber Email TimestampSubmitted Status
william dunn ddunn@dunnsheehan.com 2/21/2023 3:58:58 PM SENT
John DavidBlakley jdblakley@dunnsheehan.com 2/21/2023 3:58:58 PM SENT
Document Filed Date
February 21, 2023
Case Filing Date
June 29, 2020
Category
CNTR CNSMR COM DEBT
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