David F. Jadwin v. Kern County: 1:07-cv-26 in the United Stated District Court for the Eastern District of California, Fresno Division before Judge Oliver W. Wanger. This was a 2009 federal employment lawsuit that went to a bench and jury trial resulting in a unanimous verdict and significant judgment for the plaintiff employee. Issues involved violations of medical leave and disability discrimination laws, as well as 42 U.S.C. 1983 procedural due process violation. Plaintiff was represented by Eugene Lee, a Los Angeles, California employment lawyer.
NOV-02-2007 FRI 08:24 AM USDC CAED BAKERSFIELD Case 1:07-cv-00026-OWW-TAG Document 75 FAX NO. 6613274921 Filed 11/02/2007 Page 1 of 3 P. 02 2 3 4 Eugene D. Lee SB# 236812 LAW OFFICES OF EUGENE LEE 555West Fifth Street, Suite 3100 Los Angeles, CA 90013 Phone: (213) 992-3299 Fax: (213) 596-0487 E-mail: elee@.LOEL.com Joan Herrington SB# 178988 BAY AREA EMPLOYMENT LAW OFFICE 5032 Woodminister Lane Oakland, CA 94602 Phone: (510) 530-4078 Fax: (510) 530-4725 E-mail: jh~baelo.com Of Counseto LAW OFFICE OF EUGENE LEE Attorneys for Plaintiff DAVID F. JADWIN, D.O. Mark A. Wasser CA SB #060160 LAW OFFICES OF MARl<- A. WASSER 400 Capitol Mall, Suite 11 00 Sacramento, CA 95814 Phone: (916) 444-6400 Fax: (916) 444-6405 E-mail: email@example.com Bernard C. Barman, Sr. KERN COUNTY COUNSEL Mark Nations, Chief Deputy 1115 Trllxtun Avenue, Fourth Floor Bakersfield, CA 93301 Phone: (661) 868-3800 Fax: (661) 868-3805 E-mail: firstname.lastname@example.org Attorneys for Defendants County of Kern, Peter Bryan, Irwin Harris, Eugene Kerchu, Jennifer Abraham, Scott Ragland, Toni Smith and William Roy 5 6 7 8 9 10 11 12 13 14 15 16 11 18 19 20 21 22 23 24 25 26 27 28 VNITltO STAT:ES mSTRlCT COlJltr ltAST:ERN mSTRlCT OF CALIFORNIA DAVID F. JADWIN, D.O. Plaintiff, vs. ) Case No.: 1:07-cv-00026 OWW -fAG COUNTY OF KERN, et aI., Defendants. ~ ~ ) ~ STll'ULATION HE: CONTACT INFORMATION FOR WITNE.,S:ES DICLOSED IN THE INITIAL DISCLOSURES; OR-PE. R m/~REON Complaint J'iled: January 5, 2001 Trial Date: August 26, 2008 ------------) STiPULATlON RE: CONTACT INFORMATION FOR WTTNESSES DTSCLOSED IN THE INITIAL DISCLOSURES NOV-02-2007 FRI 08:24 AM USDC CAED BAKERSFIELD Case 1:07-cv-00026-OWW-TAG Document 75 FAX NO, 6613274921 Filed 11/02/2007 Page 2 of 3 p, 03 I 2 3 It is hereby stipulated by and between the parties hereto through their respective counsel as follows: 1. Defendants disclosed certain potential witnesses in their initial dilclosures. Some of the disclosed individuals are employees and some are independent contractors, This stipulation is to confinn the parties' agreement regarding the disclosure of contact infonnation for witnesses and independent (ontmctOrS who leave County employment or service during pendency ofthil case. 2. Defendants shall disclose to Plaintiff, David F. Jadwin, D,O. the last known address and phone munber of any employee who leaves COlmty employment Or service during pendency ofthis case within 5 court days of the date of their last service to the County. In some cases, the last Imown address may be a residence address. In some cases it may be a business address. Tile COWlty'S obligation is to provide Plaintiff with the last known address mosl.likc1y to result in communication with the individual. 3. Plaintiff's cOlmsel and Defendants' counsel shall each accept sen ice by facsimile of all process and notices hereafter served in this mattel: including, with respect to Defendants, on behalf of all employees of Defendl mt County of Kern, prOVided that all process and notices shall also be served by firstclass wail. 4. Defendant County ofKem shall make cunent employees availabl,~ 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 to Plaintiff for deposition or infonnal interview on reasonable notice by requ'lst to Defendants' counsel. 5. Unless previously disclosed, Defendants shall disclose the currenl address of any individual identified in Defendants' initial disclosures who is not an employee of the County of Kern within 20 days of the date of thh Stipulation. III III 22 23 24 25 26 27 28 2 STlPULAnON RE: CONTACT INFORMAnON FOR WITNESSES DISCLOSED TN THE TNITIAL DISCLOSURES NOV-02-2007 FRI 08:25 AM USDC CAED BAKERSFIELD Case 1:07-cv-00026-OWW-TAG Document 75 FAX NO, 6613274921 Filed 11/02/2007 Page 3 of 3 p, 04 1 Dated: November 1,2007 LAW OFFICE OF EUGENE LEE 2 3 4 By: lsi Eugene D. Lee (as authorized on 1L #1/-"-07L.L-_---I Eugene D. Lee Attorney for Plaintiff, David F. Jadwin D.O. 5 6 Dated: November 1, 2007 LAW OFHCES OF MARK A. WASSER 1 8 By: lsi Mark A. Wasser Mark A. Wasser Attorney for Defendants, COI.)l1!y ofKem, et al. 9 10 11 12 13 14 15 ORDER The parties having stipulated as hereinabove set forth and good CaUse appearing therefore; IT IS SO ORDERED. Dated: November 16 11 1:.-, 2007 T e Honorable TI e a A. Goldner United States Mist ate Judge 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION RE: CONTACT INFORMATION FOR WITNESSES DISCLOSED IN TI-IE INITIAL DISCLOSURES
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