Zachary Johnson v. County of Kern

CourtDistrict Court, E.D. California
DecidedJune 1, 2022
Docket1:20-cv-01062
StatusUnknown

This text of Zachary Johnson v. County of Kern (Zachary Johnson v. County of Kern) is published on Counsel Stack Legal Research, covering District Court, E.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Zachary Johnson v. County of Kern, (E.D. Cal. 2022).

Opinion

1 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10

11 ZACHARY JOHNSON, ) Case No.: 1:20-cv-01062-JLT-BAK (EPG) ) 12 Plaintiff, ) FINDINGS AND RECOMMENDATIONS TO ) DENY MOTION TO AMEND COMPLAINT AND 13 v. ) TO DISMISS DOE DEFENDANTS WITHOUT ) PREJUDICE 14 COUNTY OF KERN, et al., ) 15 Defendants. ) (ECF No. 27) ) 16 ) THIRTY-DAY OBJECTION DEADLINE

17 On March 24, 2022, Plaintiff filed an amended motion seeking to modify the scheduling order 18 and amend the complaint to substitute the identities of the six deputies as defendants who allegedly 19 battered Plaintiff for the previously unidentified Doe Defendants. (ECF No. 27.) Defendants filed their 20 opposition on April 6, 2022. (ECF No. 31.) On April 22, 2022, Plaintiff filed a reply. (ECF No. 34.) 21 The amended motion was referred to the assigned magistrate judge for appropriate action. (ECF No. 22 28.) The Court held a hearing on the motion on May 27, 2022. (ECF No. 35.) For the following 23 reasons, the Court recommends that Plaintiff’s motion be denied and the Doe Defendants be dismissed 24 without prejudice. 25 I. BACKGROUND 26 This case involves injuries Plaintiff Zach Johnson alleges to have received while in custody 27 and under the control of Kern County Sheriff’s Deputies. (See ECF No. 1, Complaint.) On June 19, 28 2019, Kern County Sheriff’s Deputies arrested Plaintiff for violating California Penal Code Section 1 243.9 and California Health and Safety Code Section 11550(a) (See ECF No. 1, Complaint ¶ 12(g); 2 ECF No. 5, Answer ¶ 1.). While in custody he was placed in a holding cell, and Plaintiff alleges he 3 was injured as he was moved and released into a sobering cell by six deputies. (ECF No. 1, Complaint 4 ¶¶ (i)-(m); ECF No. 27 at 3; ECF No. 31 at 2.) 5 Plaintiff filed the instant action in Kern County Superior Court on July 20, 2020, against the 6 County of Kern, Kern County Sheriff Donny Youngblood and DOES 1-100. (ECF No. 1.) Defendants 7 timely removed the action to this Court (id.), and Defendants filed their answer on August 12, 2020. 8 (ECF No. 5.) 9 The Court scheduled this case on October 23, 2020 (ECF No. 8), using the information 10 provided by the parties in their joint scheduling report. (ECF No. 6.) The Court set the deadline to 11 amend pleadings for January 15, 2021. (ECF No. 8.) The Court has set the pre-trial conference date for 12 August 22, 2022. (Id.) 13 The parties timely exchanged their Rule 26(a) initial disclosures on January 15, 2021. (ECF 14 No. 31 at 3.) Following the Court’s entry of the stipulated protective order on January 19, 2021, 15 Plaintiff’s counsel emailed Defendants’ counsel on February 2, 2021, regarding the status of the 16 production of documents listed in the initial disclosures. (ECF No. 31 at 3; ECF No. 31-1, Willard 17 Decl., Exh. 3.) Two days later, on February 4, 2021, Defendants responded by providing Plaintiff’s 18 counsel with a link to a OneDrive folder containing the surveillance footage referred to in Defendants’ 19 initial disclosures. (ECF No. 31 at 3; Willard Decl., Exh. 2.) Defendants report that the OneDrive 20 folder contained the “21 C-Deck Sobering Cell” video depicting the alleged battery of Plaintiff and the 21 deputies involved. (ECF No. 31 at 3; Willard Decl., Exh. 3.) 22 The parties filed their mid-discovery status conference statements on February 10 and 11, 23 2021. (ECF No. 12, 14.) Plaintiff’s mid-discovery statement provided that he was in the process of 24 identifying sheriff’s deputies involved in the handling of Plaintiff while he was in custody, and also 25 identified that there appeared to be approximately a 4-hour block of time that was missing from the 26 video footage produced by Defendants in initial disclosures. (ECF No. 12 at 2.) Regarding timely 27 completion of discovery, Plaintiff’s mid-discovery statement provided, “Plaintiff does not anticipate 28 that there will be any impediments to completing discovery within the deadlines set forth in the 1 Court’s scheduling order.” (Id.) Defendants’ mid-discovery statement noted, “The cut off for the 2 Amendment of Pleadings was January 15, 2021. To date, no amendments have been filed. The County 3 of Kern and Sheriff Donny Youngblood are the only party Defendants to the pending action.” (ECF 4 No. 14 at 2.) 5 On April 1, 2021, Plaintiff served his first formal discovery, requests for production, set one 6 (ECF No. 16-2), to which Defendants timely served responses on April 20, 2021. (ECF No. 16-3.) On 7 April 27, 2021, Plaintiff’s counsel sent an email to Defense counsel memorializing a discovery meet 8 and confer from the same day, noting among other things, the missing gap in the surveillance video 9 (from June 19, 2019, 23:27:19 to June 20, 2019, 4:38) and following up on the “red book” that would 10 identify all deputies and personnel who interacted with Plaintiff while he was in custody. (ECF No. 11 16-6 at 3-5.) On May 7, 2021, Defendants served supplemental responses to set one of the requests for 12 production, including the requested “red book” (ECF No. 16-5), and regarding the gap in surveillance 13 video, Defendants’ stated that “Defendant has made a diligent search and reasonable inquiry. All video 14 footage in Defendant’s possession responsive to this request is attached hereto and marked as Exhibit 15 4.” (Id. at 8.) On May 10, 2021, Plaintiff’s counsel sent an email to Defense counsel stating that some 16 deficiencies remained in Defendants’ document production and requesting deposition dates for 17 “Vincent Fricano, ID 1461, Jeffrey Fisher, ID A1493, [and] Sergeant Rutledge.” (ECF No. 16-6 at 2.) 18 On May 17, 2021, Defendants served responses to Plaintiff’s interrogatories, set one. (ECF No. 19 31-4, Jones Decl., Exh. 1.) The same day, Plaintiff’s counsel sent an email to Defense counsel 20 requesting a further response to Plaintiff’s interrogatory number two, which included a still from the 21 video disclosed by Defendants in their initial disclosures and requested identification of the deputies 22 who appeared in the photo. (ECF No. 31-2, Rice Decl., Exh. 1.) Defense counsel responded the next 23 day, stating that, “We have been informed that the photograph may include the following individuals,” 24 and describing their positioning in the photo, listed these individuals: Sergeant Rutledge, Senior 25 Deputy Wright, Senior Deputy Wright, Deputy Jeffrey Fisher, Deputy Vincent Fricano, and “possibly” 26 Deputy Joseph Garcia. (Rice Decl., Exh. 2 at 2.) Plaintiff’s counsel responded regarding dates for 27 depositions for these individuals. (Id. at 1.) 28 1 The same day, May 18, 2021, Plaintiff filed a motion to compel responses to RFP numbers 35, 2 36, and 41. (ECF No. 16.) The Court granted in part and denied in part the motion (ECF No. 19), and 3 Defendants report they timely complied. (ECF No. 31 at 8.) 4 Defendants report they made available all of the fact witnesses sought by Plaintiff, in an 5 attempt to complete all depositions by June 21, 2021, totaling twelve videotaped fact-witness 6 depositions in June, including five of the deputies Plaintiff now seeks to add as defendants, and two 7 Rule 30(b)(6) individuals who testified about the gap in video of the C Deck Sobering Cell and 8 recordings of phone calls allegedly made by Plaintiff to family from the jail. (ECF No. 31 at 8.) The 9 only fact-witness deposition taken by Defendants was of Plaintiff. (Id.) 10 Because the parties could not meet the July 20, 2021 expert disclosure deadline, the parties 11 filed a stipulation to modify the scheduling order to extend the expert disclosure deadline to 12 September 19, 2021, and the expert discovery deadline from October 12, 2021 to December 12, 2021 13 (ECF No. 20), and the Court granted the stipulation the same day. (ECF No. 21.) The parties 14 completed expert discovery by the modified deadline. (ECF No.

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Bluebook (online)
Zachary Johnson v. County of Kern, Counsel Stack Legal Research, https://law.counselstack.com/opinion/zachary-johnson-v-county-of-kern-caed-2022.