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Dipuzo v. Vons Cos.

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Feb 12, 2013
CASE NO.: 2:12-cv-01498-LRH-CWH (D. Nev. Feb. 12, 2013)

Opinion

CASE NO.: 2:12-cv-01498-LRH-CWH

02-12-2013

DESIREE DIPUZO, Plaintiff, v. THE VONS COMPANIES, INC.; DOES I through X; and ROE CORPORATIONS XI through XX, inclusive, Defendants.

Tamela L. Kahle John L. Ward IV KAHLE & ASSOCIATES Attorneys for Defendant The Vons Companies, Inc. and Bryan Boyack RICHARD HARRIS LAW FIRM Attorney for Plaintiff Desiree Dipuzo


Tamela L. Kahle
John L. Ward IV
KAHLE & ASSOCIATES
Attorneys for Defendant
The Vons Companies, Inc.

and Bryan Boyack
RICHARD HARRIS LAW FIRM
Attorney for Plaintiff
Desiree Dipuzo

JOINT MOTION TO CONTINUE EARLY

NEUTRAL EVALUATION CONFERENCE

(First Request)


JOINT MOTION TO CONTINUE EARLY NEUTRAL EVALUATION CONFERENCE

Plaintiff Desiree Dipuzo, by and through her counsel, Bryan A. Boyack, Esq. of The Richard Harris Law Firm "and Defendant The Vons Companies, Inc., by and through its counsel, Tamela L. Kahle, Esq. of Kahle & Associates hereby submit their Joint Motion to Continue Early Neutral Evaluation Conference for the cause shown herein and pursuant to LR 16-6(d).

I. CAUSE FOR CONTINUANCE OF ENE CONFERENCE

Certain documents Plaintiff requested required a Protective Order before being produced. Now that the Protective Order has been filed, Defendant is gathering the documents. Plaintiff believes these documents are pertinent in litigating her claim: Moreover, Plaintiff intends to take a deposition of the Person Most Knowledgeable for Vons. Lastly, Plaintiff intends to take the deposition of Plaintiff's treating physician/Gary LaTourette, M.D. Taking his deposition has been difficult due to scheduling conflicts.

On January 31, 2013, Honorable Magistrate Judge .Carl W. Hoffman granted the Parties' Stipulation to Extend Discovery Deadline for the cause listed supra, Pursuant to LR 16-6(d), the Parties now jointly move for the continuation of the Early Neutral Evaluation Conference currently scheduled for February 19, 2013, until after the required depositions of the Person Most Knowledgeable for Vons, and Plaintiff's treating physician, Gary LaTourette, M.D. are taken. ... ... ... ... ... ... ... ... ... ... ... ... ... ... ... Plaintiff is currently attempting to schedule said depositions and anticipates they, will be taken by mid-March 2013.

Submitted by the Parties; RICHARD HARRIS LAW FIRM By: ______________________

Bryan A. Boyack, Esq.

Nevada Bar No. 9980

801 South 4th St.

Las Vegas, Nevada 89101

Attorney for Plaintiff

Desiree Dipuzo
KAHLE & ASSOCIATES By: ______________________

Tamela L. Kahle, Esq.

Nevada Bar No. 0558

7660 W. Sahara Aye., Ste. 110

Las Vegas, Nevada 89117

Attorney for Defendant

The Vons Companies, Inc.

ORDER

IT IS SO ORDERED. The Early Neutral Evaluation Conference currently scheduled for February 19,2013, for cause shown and pursuant to LR 16r6(d), is now continued to the 16th day of April, 2013.

______________________

UNITED STATES MAGISTRATE JUDGE

Hon. Robert A. McQuaid, Jr.


Summaries of

Dipuzo v. Vons Cos.

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Feb 12, 2013
CASE NO.: 2:12-cv-01498-LRH-CWH (D. Nev. Feb. 12, 2013)
Case details for

Dipuzo v. Vons Cos.

Case Details

Full title:DESIREE DIPUZO, Plaintiff, v. THE VONS COMPANIES, INC.; DOES I through X…

Court:UNITED STATES DISTRICT COURT DISTRICT OF NEVADA

Date published: Feb 12, 2013

Citations

CASE NO.: 2:12-cv-01498-LRH-CWH (D. Nev. Feb. 12, 2013)