Opinion
2:21-cv-00151-APG-BNW
12-08-2022
REID RUBINSTEIN & BOGATZ BY I. SCOTT BOGATZ, ESQ. MICHAEL S. KELLEY, ESQ. ATTORNEYS FOR MICHAEL MINDEN AND THERESA MINDEN MCCORMICK, BARSTOW, SHEPPARD, WAYTE & CARRUTH LLP BY JONATHAN W. CARLSON, ESQ. MICHAEL A. PINTAR, ESQ. FRANK A. TODDRE, II, ESQ. ATTORNEYS FOR ALLSTATE PROPERTY AND CASUALTY INSURANCE COMPANY
REID RUBINSTEIN & BOGATZ BY I. SCOTT BOGATZ, ESQ. MICHAEL S. KELLEY, ESQ. ATTORNEYS FOR MICHAEL MINDEN AND THERESA MINDEN
MCCORMICK, BARSTOW, SHEPPARD, WAYTE & CARRUTH LLP BY JONATHAN W. CARLSON, ESQ. MICHAEL A. PINTAR, ESQ. FRANK A. TODDRE, II, ESQ. ATTORNEYS FOR ALLSTATE PROPERTY AND CASUALTY INSURANCE COMPANY
STIPULATION TO EXTEND DEADLINE FOR ALLSTATE TO FILE ITS REPLY IN SUPPORT OF ITS MOTION FOR SUMMARY JUDGMENT
(First Request)
Plaintiffs, Michael and Theresa Minden (“Plaintiffs”) and Defendant, Allstate Property and Casualty Insurance Company (“Allstate”) (collectively, “Parties”), by and through their respective counsel, hereby stipulate to extend the deadline for Allstate to File its Reply in Support of its Motion for Summary Judgment, filed on October 31, 2022 (ECF No. 73). This is the first stipulation for extension of time to file a reply in support of this pending motion.
On December 5, 2022, Plaintiffs filed its Response to Allstate's Motion for Summary Judgment, as well as four (4) appendix volumes of exhibits. (ECF Nos. 82-86). Allstate's Reply in Support of its Motion for Summary Judgment is currently due on December 19, 2022. The Parties agree to extend the deadline for Allstate to file its Reply by three weeks to January 9, 2023. Allstate requests this extension because of the upcoming holidays, and because additional time is needed to review Plaintiffs' extensive Response. This request is made in good faith, and not for the purpose of undue delay.
IT IS SO ORDERED.