Opinion
2:22-cv-01974-APG-VCF
08-15-2023
Sheri M. Thome, Esq Nevada Bar No. 008657 Jason R. Wigg, Esq Nevada Bar No. 007953 WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER LLP Josh Cole Aicklen, Esq Nevada Bar No.007254 David Gould, Esq Nevada Bar No. 011143 LEWIS BRISBOIS BISGAARD & SMITH LLP Daniel S. Simon, Esq Nevada Bar No. 004750 Benjamin J. Miller, Esq Nevada Bar No. 010406 Ashley M. Ferrel, Esq Nevada Bar No. 012207 Attorneys for Plaintiffs
Sheri M. Thome, Esq
Nevada Bar No. 008657
Jason R. Wigg, Esq
Nevada Bar No. 007953
WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER LLP
Josh Cole Aicklen, Esq
Nevada Bar No.007254
David Gould, Esq
Nevada Bar No. 011143
LEWIS BRISBOIS BISGAARD & SMITH LLP
Daniel S. Simon, Esq
Nevada Bar No. 004750
Benjamin J. Miller, Esq
Nevada Bar No. 010406
Ashley M. Ferrel, Esq
Nevada Bar No. 012207
Attorneys for Plaintiffs
STIPULATION AND ORDER TO EXTEND DEADLINES TO FILE OPPOSITION AND REPLY BRIEFS TO PLAINTIFFS' MOTION TO AMEND COMPLAINT [ECF No. 32]
Defendants AmTrust Financial Services, Inc. (“AmTrust”) and Security National Insurance Company (“Security National”) (collectively “Defendants”), and Plaintiffs Carmen Iovino and Topnotch Services, Inc. (“Plaintiffs”), by and through their undersigned counsel of record, hereby stipulate and agree to extend the opposition and reply deadlines by five days regarding Plaintiffs' Motion to Amend Complaint to Add AmTrust North America, Inc. as a Defendant (“Motion”).
ECF No. 32.
The parties agree to extend Defendants' deadline to file an opposition to Plaintiffs' Motion from August 10, 2023 to August 15, 2023. The parties also agree to extend Plaintiffs' deadline to file a reply in support of its Motion from August 17, 2023 to August 22, 2023.
This stipulation is submitted in compliance with LR IA 6-1. Good cause exists for the requested extension as defense counsel needs additional time to prepare the opposition brief and consult with their client to obtain approval of same. Defendants requested the extension and Plaintiffs fully cooperated and agreed. Plaintiffs also requested the same extension with regards to their reply brief and Defendants fully cooperated and agreed to such extension.
This is the parties' first request for extension of these deadlines.
ORDER
GOOD CAUSE SHOWN, IT IS SO ORDERED that the deadline for Defendants to file an opposition to Plaintiffs' Motion to Amend Complaint to Add AmTrust North America, Inc. as a Defendant (“Motion”) shall be extended from August 10, 2023 to August 15, 2023.
IT IS FURTHER ORDERED that the deadline for Plaintiffs to file a reply in support of its Motion shall be extended from August 17, 2023 to August 22, 2023.