Opinion
2:18-cv-02090-APG-NJK
10-30-2023
JAMES R OLSON, ESQ. Nevada Bar No. 000116 THOMAS D. DILLARD, JR., ESQ. Nevada Bar No. 006270 OLSON CANNON GORMLEY & STOBERSKI Attorneys for Defendant ALPS PROPERTY & CASUALTY INSURANCE COMPANY
JAMES R OLSON, ESQ.
Nevada Bar No. 000116
THOMAS D. DILLARD, JR., ESQ.
Nevada Bar No. 006270
OLSON CANNON GORMLEY
& STOBERSKI
Attorneys for Defendant
ALPS PROPERTY & CASUALTY
INSURANCE COMPANY
STIPULATION AND ORDER
TO EXTEND TIME TO RESPOND TO. PENDING MOTIONS IN LIMINE AND MOTION FOR PARTIAL SUMMARY JUDGMENT (First Request)
ANDREW P. GORDON, UNITED STATES DISTRICT JUDGE
COMES NOW Defendant, ALPS PROPERTY & CASUALTY INSURANCE COMPANY, (herein referred to as "ALPS"), by and through its counsel of record, JAMES R. OLSON, ESQ., and THOMAS D. DILLARD, JR., ESQ., of the law firm of OLSON CANNON GORMLEY & STOBERSKI, and Plaintiff, CENTURY-NATIONAL INSURANCE COMPANY, PACIFIC PIONEER INSURANCE GROUP, INC., PACIFIC PIONEER INSURANCE COMPANY, and UCA GENERAL INSURANCE SERVICES (herein referred to as "Plaintiffs"), by and through its counsel of record, JAMES P.C. SILVESTRI, ESQ., of the law firm of PYATT & SILVESTRI and JOHN A MARSHALL, ESQ., of the law firm of MARSHALL & ASSOCIATES and hereby submit this stipulation to extend the current briefing schedule for three responses to motions to be filed with respect to documents #202, #203 & #204 due to conflicting demands imposed from other case deadlines and other previously scheduled matters. It is hereby stipulated to the following procedural history and extensions to the briefing schedule:
WHEREAS Plaintiffs filed their Motion in Limine to Exclude the Expert Report and Testimony of Steven J. Hazel and Memorandum of Points and Authorities on October 13, 2023 [ECF #202]. ALPS's Response thereto is currently due October 27, 2023. ALPS respectfully requests a stipulated one-week extension to respond to that motion on or before Friday, November 3, 2023.
WHEREAS ALPS filed its Renewed Motion In Limine Re: Testimonial Evidence in Support of Consequential Damages in Violation of Federal rules of Evidence 701 and 702 [ECF #203] on October 13, 2023. Plaintiffs' Response is also currently due October27, 2023. It is likewise requested that Plaintiffs' Response thereto be extended from October 27, 2023, to Friday, November 3, 2023.
WHEREAS ALPS filed its Motion for Partial Summary Judgment Re: Expectation Damages and Offset [ECF #204] on October 13, 2023. Plaintiffs' Response to this Rule 56 motion is currently due on November 3, 2023. It is requested this Response to be extended also for ten days to be filed for until Monday, November 13, 2023 (due to the observance of Veteran's Day per Fed.R.Civ.P. 6 (a)(6)(A) on Friday, November 10, 2023).
STIPULATED this 26th day of October 2023.
MARSHALL & ASSOCIATES Isl John Marshall, Esq. | PYATT & SILVESTRI Isl James Silvestri, Esq. | OLSON CANNON GORMLEY & STOBERSKI Isl T.D. Dillard, Esq. |
John A. Marshall, Esq. California Bar No. 109557 26565 W. Agoura Rd. Ste #200 Calabasas, CA 91302 Attorneys for Plaintiffs | James P.C. Silvestri, Esq. Nevada Bar No. 003603 701 Bridger A venue Ste #600 Las Vegas, NV 89101 Attorneys for Plaintiffs | James R. Olson, Esq. NevadaBarNo. 000116 Thomas D. Dillard, Jr., Esq. Nevada Bar No. 006270 9950 West Cheyenne Las Vegas, Nevada 89129 Attorneys for ALPS |
ORDER
ALPS's Response to Plaintiffs' Motion in Limine [ECF #202] is extended from October 27, 2023 to November 3, 2023;
Plaintiffs' Response to ALPS's Motion in Limine [ECF #203] is extended from October 27, 2023 to November 3, 2023; and
Plaintiffs' Response to ALPS's Motion for Partial Summary Judgment [ECF #204] is extended from November 3, 2023 to November 13, 2023.
IT IS SO ORDERED.