Woodard
v.
City of Menlo Park

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA OAKLAND DIVISIONSep 14, 2012
CASE NO. C 09-3331 SBA (N.D. Cal. Sep. 14, 2012)

CASE NO. C 09-3331 SBA

09-14-2012

Robert Lee Woodard, Plaintiff, v. City of Menlo Park, et al., Defendants.

JORGENSON, SIEGEL McCLURE & FLEGEL, LLP NICOLAS A. FLEGEL Attorneys for Defendant RON VENZON PETER C. MEIER KRISTIN M. HALL PAUL HASTINGS LLP KRISTIN M. HALL Attorneys for Plaintiff ROBERT LEE WOODARD


PETER C. MEIER (SB# 179019)


KRISTIN M. HALL (SB# 261187)


PAUL HASTINGS LLP


Attorneys for Plaintiff


ROBERT LEE WOODARD


JOHN L. FLEGEL (57010)


NICOLAS A. FLEGEL (229360)


JORGENSON, SIEGEL,


MCCLURE & FLEGEL, LLP


Attorneys for Defendant


RON VENZON


JOINT STIPULATION AND ORDER

REGARDING EXCLUSION OF EVIDENCE


Trial Date: September 19, 2012

Judge: Hon. Saundra Brown Armstrong

JOINT STIPULATION

In accordance with Local Rule 7-12, Plaintiff Robert Lee Woodard ("Plaintiff") and Defendant Ron Venzon ("Defendant") (collectively, "the Parties"), agree and jointly stipulate that neither party shall seek to admit as evidence at trial the written summaries of interviews conducted by the Menlo Park Police Department regarding the events at issue in this lawsuit.

NOW, THEREFORE, IT IS HEREBY STIPULATED, CONSENTED TO AND AGREED AS FOLLOWS:

1. The Parties and their respective counsel shall not seek to admit as evidence at trial the written summaries of interviews conducted by the Menlo Park Police Department regarding the events at issue in this lawsuit, which are Bates numbered as DEF 9 through DEF 14.


JORGENSON, SIEGEL


McCLURE & FLEGEL, LLP


By: ______________________


NICOLAS A. FLEGEL


Attorneys for Defendant


RON VENZON


In accordance with Civil L.R. 5-1(i)(3), the above signatory attests that concurrence in the filing of this document has been obtained from the signatory below.

PETER C. MEIER


KRISTIN M. HALL


PAUL HASTINGS LLP


By: ______________________


KRISTIN M. HALL


Attorneys for Plaintiff


ROBERT LEE WOODARD


[ORDER

The Joint Stipulation that the Parties and their respective counsel shall not seek to admit as evidence at trial the written summaries of interviews conducted by the Menlo Park Police Department regarding the events at issue in this lawsuit, which are Bates numbered as DEF 9 through DEF 14, is hereby adopted by this Court.

PURSUANT TO STIPULATION, IT IS SO ORDERED.

______________________


THE HON. SAUNDRA BROWN ARMSTRONG


UNITED STATES DISTRICT COURT JUDGE