Opinion
2:20-cv-01382-JCM-VCF 22-cv-00335-MMD-CLB
01-19-2023
CAPITOL SPECIALTY INS. CORP., Plaintiff, v. STEADFAST INS. CO., et al., Defendants.
William Reeves State Bar No. 8235 MORALES FIERRO & REEVES Attorneys for Defendant/Cross-Claimant Steadfast Insurance Company TYSON & MENDES By Jessica West Attorneys for RHP
William Reeves State Bar No. 8235 MORALES FIERRO & REEVES Attorneys for Defendant/Cross-Claimant Steadfast Insurance Company
TYSON & MENDES By Jessica West Attorneys for RHP
STIPULATION TO EXTEND DEADLINE TO SUBMIT PROPOSED DISCOVERY PLAN
TO THE COURT:
Plaintiff/Cross-Complainant Steadfast Insurance Company ("Steadfast") and Defendants/Cross-Defendant RHP Mechanical Systems and Ray Heating Products, Inc. (collectively "RHP"), by and through counsel, stipulate and agree as follows:
WHEREAS, this Court previously issued an Order [Dkt. No. 119] granting a request that the claims Steadfast had asserted against RHP in this matter be severed from the remainder of the case and stayed pending the outcome of a Motion to Dismiss ("MTD");
WHEREAS, this Court recently issued an Order [Dkt. No. 151] denying the MTD;
WHEREAS, this Court also recently issued a separate Order [Dkt. No. 152] granting a motion to consolidate this case with Case No. 22-cv-00335-MMD-CLB;
WHEREAS, the current deadline for the parties to submit a Proposed Discovery Plan and Scheduling Order ('Proposed Plan") is January 20, 2023;
WHEREAS, Steadfast and RHP (collectively "Parties") seek additional time to submit a Proposed Plan to permit for RHP to file Answers to the various pleadings in light of the consolidation of the cases;
WHEREFORE, the Parties jointly request that the deadline to submit a Proposed Plan be extended to February 10, 2023.
IT IS SO AGREED.
The Court, having considered the stipulation of the parties and good cause appearing, orders that the deadline for the Parties to submit a Proposed Discovery Plan and Scheduling Order is extended to February 10, 2023.
IT IS SO ORDERED.