Opinion
3:19-cv-00520-MMD-CLB
01-10-2023
DOUGLAS CODER & LINDA CODER FAMILY LLLP, Plaintiff, v. RNO EXHIBITIONS, LLC, a Nevada limited liability company; and VINCENT WEBB, an individual, Defendants. RNO EXHIBITIONS LLC, Third-Party Plaintiff, v. SCOTT CODER, and CODER CONSULTING TEAM, LLC Third-Party Defendants.
KAEMPFER CROWELL Alex J. Flangas, No. 664 Sihomara L. Graves, No. 13239 Attorneys for Plaintiff Douglas Coder and Linda Coder Family LLLP JONCUS LAW P.C. Stephen J. Joncus Patrick O'Rouke, No. 13557 HUMPHREY LAW PLLC Stephen J. Joncus (Pro Hac Vice) Attorneys for Defendants RNO Exhibitions, LLC and Vincent Webb
KAEMPFER CROWELL
Alex J. Flangas, No. 664
Sihomara L. Graves, No. 13239
Attorneys for Plaintiff Douglas Coder and Linda Coder Family LLLP
JONCUS LAW P.C.
Stephen J. Joncus
Patrick O'Rouke, No. 13557
HUMPHREY LAW PLLC
Stephen J. Joncus (Pro Hac Vice)
Attorneys for Defendants RNO Exhibitions, LLC and Vincent Webb
STIPULATION AND ORDER TO WITHDRAW PLAINTIFF DOUGLAS CODER & LINDA CODER FAMILY LLLP'S MOTION IN LIMINE TO EXCLUDE UNDISCLOSUED EVIDENCE (ECF NO. 103)
Plaintiff Douglas Coder and Linda Coder Family LLLP (the “Coder Family”) and Defendants RNO Exhibitions, LLC (“RNO”) and Vincent Webb, stipulate to withdraw Coder Family's Motion in Limine to Exclude Undisclosed Evidence (ECF No. 103) (the “Motion”) without prejudice to re-filing at a later date if necessary.
The parties agree to withdraw the Motion because Defendants RNO and Mr. Webb have stipulated and agreed not to use the previously undisclosed evidence at trial.
ORDER
IT IS SO ORDERED.