Opinion
CASE NO. 2:10-CV-01394-JAM-DAD
08-19-2011
SEDGWICK LLP By: Dennis G. Rolstad Attorneys for Defendant ACE AMERICAN INSURANCE COMPANY SPROUL TROST, LLP By: Thomas G. Trost Attorneys for Plaintiffs EAST WEST RESORT DEVELOPMENT V., L.P., NORTHSTAR BIG HORN, LLC, NORTHSTAR IRON HORSE, LLC, AND OLD GREENWOOD, LLC
SEDGWICK LLP
BRUCE D. CELEBREZZE Bar No. 102181
DENNIS G. ROLSTAD Bar No. 150006
ANDREW J. KING Bar No. 253962
Attorneys for Defendant
ACE AMERICAN INSURANCE
COMPANY
SPROUL TROST LLP
THOMAS G. TROST Bar No. 151961
JASON M. SHERMAN Bar No. 232420
Attorneys for Plaintiffs
EAST WEST RESORT DEVELOPMENT V.,
L.P., NORTHSTAR BIG HORN, LLC,
NORTHSTAR IRON HORSE, LLC, AND
OLD GREENWOOD, LLC
STIPULATION AND ORDER
EXTENDING CERTAIN PRETRIAL
DATES DURING SETTLEMENT
DISCUSSIONS
JUDGE: Hon. John A. Mendez
MAGISTRATE JUDGE: Hon. Dale A. Drozd
TO THE COURT, ALL PARTIES AND THEIR ATTORNEYS OF RECORD: Through this stipulation and proposed order, defendant ACE AMERICAN INSURANCE COMPANY ("Defendant" or "ACE") and plaintiffs EAST WEST RESORT DEVELOPMENT V., L.P. ("East West"), NORTHSTAR BIG HORN, LLC ("NBH"), NORTHSTAR IRON HORSE, LLC ("NIH"), and OLD GREENWOOD, LLC ("Old Greenwood") (together "Plaintiffs"), collectively referred to herein as the "Parties," stipulate, pursuant to Civil Local Rules 143 and 144, and request that the Court enter an Order to extend certain pretrial dates as follows:
The Parties are currently in settlement discussions, and in order to allow such discussions to further take place without the taking of depositions or other certain other discovery proceedings, the Parties, pursuant to Local Rules 143 and 144, jointly request and HEREBY STIPULATE that certain pretrial dates for this action be extended as follows. The Parties note that these extensions do not affect any hearing or appearance dates before the court, as the hearing date for dispositive motions of January 11, 2012, the pretrial conference date of February 17, 2010; and the trial date of March 26, 2012, are not affected by this stipulation.
1. The Parties shall make expert witness disclosures under Fed. R. Civ. P. 26(a)(2) by October 11 , 2011, and supplemental disclosures and disclosures of any rebuttal witnesses under Fed. R. Civ. P. 26(a)(2)(C) by October 25, 2011;
2. All discovery shall be completed by October 31, 2011;
3. All dispositive motions shall be filed by November 30, 2011;
4. Hearing on such motions shall be on January 11, 2012, at 9:30 a.m. in Courtroom # 6;
5. The final pre-trial conference is set for February 17, 2012, at 10:00 a.m..; and
6. Jury trial in this matter is set for March 26, 2012 at 9:00 a.m. IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD:
SEDGWICK LLP
By: Dennis G. Rolstad
Attorneys for Defendant
ACE AMERICAN INSURANCE COMPANY
SPROUL TROST, LLP
By: Thomas G. Trost
Attorneys for Plaintiffs
EAST WEST RESORT DEVELOPMENT V., L.P.,
NORTHSTAR BIG HORN, LLC, NORTHSTAR IRON
HORSE, LLC, AND OLD GREENWOOD, LLC
ORDER ON STIPULATION
Pursuant to the stipulation of the Parties, and good cause appearing therefore,
IT IS SO ORDERED.
THE HONORABLE JOHN A. MENDEZ
UNITED STATES DISTRICT COURT JUDGE