Opinion
3:22-cv-00333-LRH-CLB
12-08-2022
JOHN R. FUNK, ESQ. JEREMY R. REICHENBERG, ESQ. GUNDERSON LAW FIRM ATTORNEYS FOR ANGEL VASQUEZ BARNES AND JOSEPH BARNES GREGORY M. SAYLIN, ESQ. KODY L. CONDOS, ESQ. HOLLAND & HART LLP, SYDNEY R. GAMBEE, ESQ. HOLLAND & HART LLP ATTORNEYS FOR PLAINTIFFS MISSION HEALTHCARE SERVICES, LLC AND HEALTH LIVING AT HOME - CARSON CITY, LLC RYAN D. RUSSELL, ESQ. ALLISON MACKENZIE, LTD. ATTORNEYS FOR BATTLE BORN HOME HEALTH, LLC AND JESSICA CONNANT
JOHN R. FUNK, ESQ. JEREMY R. REICHENBERG, ESQ. GUNDERSON LAW FIRM ATTORNEYS FOR ANGEL VASQUEZ BARNES AND JOSEPH BARNES
GREGORY M. SAYLIN, ESQ. KODY L. CONDOS, ESQ. HOLLAND & HART LLP, SYDNEY R. GAMBEE, ESQ. HOLLAND & HART LLP ATTORNEYS FOR PLAINTIFFS MISSION HEALTHCARE SERVICES, LLC AND HEALTH LIVING AT HOME - CARSON CITY, LLC
RYAN D. RUSSELL, ESQ. ALLISON MACKENZIE, LTD. ATTORNEYS FOR BATTLE BORN HOME HEALTH, LLC AND JESSICA CONNANT
ORDER GRANTING
STIPULATION TO EXTEND DEADLINE TO PRODUCE RULE 26(F) INITIAL DISCLOSURES AND DEFENDANTS' RESPONSE TO PLAINTIFFS' FIRST SET OF REQUESTS FOR PRODUCTION OF DOCUMENTS AND FIRST SET OF INTERROGATORIES
STIPULATION
Plaintiffs MISSION HEALTHCARE SERVICES, LLC and HEALTHY LIVING AT HOME - CARSON CITY, LLC, (“Plaintiffs”) and Defendants ANGEL VASQUEZ BARNES and JOSEPH BARNES (together, the “Barnes”), and Defendants JESSICA CONNANT (CRISP) (“Connant”) and BATTLE BORN HOME HEALTH, LLC (“Battle Born,” and together with Plaintiffs, Connant, and the Barnes, the “Parties”), by and through their respective counsel of record, hereby stipulate and agree as follows.
1. Plaintiffs submitted their First Set of Requests for Production of Documents and First Set of Interrogatories to each Defendant on October 21, 2022.
2. The Parties filed the Case Management Report on November 18, 2022, setting the deadline for all Parties to make their Rule 26(f) Initial Disclosures no later than December 9, 2022, and for Defendants to respond to Plaintiffs' First Set of Requests for Production of Documents and First Set of Interrogatories no later than December 9, 2022.
3. Counsel have agreed to extend the deadline for all parties to provide their Rule 26(f) Initial Disclosures and for Defendants to respond to Plaintiffs' First Set of Requests for Production of Documents and First Set of Interrogatories, until and including December 16, 2022.
4. This is the Parties first request for an extension of time to submit Rule 26(f) Initial Disclosures.
5. This is Defendants first request for an extension of time to respond to Plaintiffs First Set of Requests for Production of Documents and First Set of Interrogatories.
6. This stipulation is made in good faith and not in an attempt to delay proceedings.
ORDER
IT IS SO ORDERED. All Parties shall have until and including December 16, 2022 to file their Initial Disclosures. Defendants shall have until and including December 16, 2022 to file with Responses to Plaintiffs' First Set of Requests for Production of Documents and First Set of Interrogatories.