Opinion
2:23-cv-00174-JCM-VCF
02-06-2023
Howard J. Russell, Esq. Nevada Bar No. 8879 Sebastian Cribari, Esq. Nevada Bar No. 15888 WEINBERG, WHEELER, HUDGINS, GUNN & DIAL, LLC Attorneys for Defendant Everest National Insurance Company Jessica M. Munoz, Esq. RICHARD HARRIS LAW FIRM Attorneys for Plaintiff Judson Mac Duff
Howard J. Russell, Esq. Nevada Bar No. 8879 Sebastian Cribari, Esq. Nevada Bar No. 15888 WEINBERG, WHEELER, HUDGINS, GUNN & DIAL, LLC Attorneys for Defendant Everest National Insurance Company
Jessica M. Munoz, Esq. RICHARD HARRIS LAW FIRM Attorneys for Plaintiff Judson Mac Duff
STIPULATION AND ORDER TO EXTEND TIME FOR INITIAL RESPONSE TO COMPLAINT
(FIRST REQUEST)
Cam Ferenbach United States Magistrate Judge
Plaintiff Judson MacDuff (“Plaintiff”) and Defendant Everest National Insurance Company (“Everest”) jointly stipulate that Everest's time to respond to Plaintiff's Complaint is extended thirty (30) days from the current date of February 8, 2023, until March 10, 2023. The request is to allow Everest to review the factual basis of Plaintiff's claim, including recent and additional documentation related to Plaintiff's claimed damages, which review will allow the parties a more thorough opportunity to address the issues in dispute related to Plaintiff's claim for insurance benefits. This is the first extension of time of Everest's deadline to respond to the Complaint.
The parties hereto preserve and do not waive any objections or defenses by this Stipulation.
IT IS SO STIPULATED, this 6th day of February, 2023.
IT IS SO ORDERED.