Opinion
2:20-cv-01383-ART-BNW
04-10-2023
PN II, INC. dba PULTE HOMES and/or DEL WEBB, a Nevada corporation, Plaintiff, v. NATIONAL FIRE & MARINE INSURANCE COMPANY; and DOES 1 through 100, inclusive, Defendants. NATIONAL FIRE & MARINE INSURANCE COMPANY NATIONAL FIRE & MARINE INSURANCE COMPANY, a Nebraska insurance company, Counter-Claimant, v. PN II, INC. dba PULTE HOMES and/or DEL WEBB, a Nevada corporation, Counter-Defendant. NATIONAL FIRE & MARINE INSURANCE COMPANY, a Nebraska insurance company, Third-Party Plaintiff, v. PN II, dba PULTE HOMES and/or DEL WEBB, a Nevada corporation; CONTRACTORS INSURANCE COMPANY OF NORTH AMERICA, INC., a Hawaii corporation, Third-Party Defendants.
NICOLAIDES FINK THORPE MICHAELIDES SULLIVAN LLP Attorneys for Defendant, Counterclaimant and Third-Party Plaintiff National Fire & Marine Insurance Company SHIVES & ASSOCIATES LIMITED Martin L. Shives Attorneys for Defendant, Counterclaimant and Third-Party Plaintiff National Fire & Marine Insurance Company BROWN, BONN & FRIEDMAN, LLP Thomas Friedman Attorneys for Defendant, Counterclaimant and Third-Party Plaintiff National Fire & Marine Insurance Company PAYNE & FEARS LLP Scott S. Thomas Sarah J. Odia Attorneys for Plaintiff and Counter- Defendant PN II, Inc. dba Pulte Homes and/or Del Webb MRV LAW, INC. Mark R. VonderHaar Attorneys for Third-Party Defendants Contractors Insurance Company of North America LEE LANDRUM & INGLE, APC Natasha Landrum Attorneys for Third-Party Defendants Contractors Insurance Company of North America
NICOLAIDES FINK THORPE MICHAELIDES SULLIVAN LLP Attorneys for Defendant, Counterclaimant and Third-Party Plaintiff National Fire & Marine Insurance Company
SHIVES & ASSOCIATES LIMITED Martin L. Shives Attorneys for Defendant, Counterclaimant and Third-Party Plaintiff National Fire & Marine Insurance Company
BROWN, BONN & FRIEDMAN, LLP Thomas Friedman Attorneys for Defendant, Counterclaimant and Third-Party Plaintiff National Fire & Marine Insurance Company
PAYNE & FEARS LLP Scott S. Thomas Sarah J. Odia Attorneys for Plaintiff and Counter- Defendant PN II, Inc. dba Pulte Homes and/or Del Webb
MRV LAW, INC. Mark R. VonderHaar Attorneys for Third-Party Defendants Contractors Insurance Company of North America LEE LANDRUM & INGLE, APC
Natasha Landrum Attorneys for Third-Party Defendants Contractors Insurance Company of North America
STIPULATION AND [PROPOSED] ORDER REGARDING PRE-TRIAL REPORT DEADLINE PER L.R. 26-1
(FIRST REQUEST)
TO THE HONORABLE COURT, AND TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD:
Defendant/Counter-Claimant/Third-Party Plaintiff National Fire & Marine Insurance Company (“National Fire”), Plaintiffs/Counter-Defendants PN II, Inc. dba Pulte Homes and Del Webb (collectively “Pulte”), and Third-Party Defendant Contactors Insurance Company of North America (“CICNA”), by and through their respective counsel of record, hereby STIPULATE and agree, subject to this Court's approval, that the current joint pre-trial report deadline set forth in ECF 52 is suspended per L.R. 26-1, until 30 days after the Court issues decisions for the dispositive motions filed on March 24, 2023.
This is the first request specific to the joint pre-trial report deadline. Pursuant to ECF No. 52, the parties' deadline to file a joint pre-trial report is set for April 12, 2023. However, the parties filed dispositive motions on March 24, 2023. Pursuant to L.R. 261, “[i]f dispositive motions are filed, the deadline for filing the joint pretrial order will be suspended until 30 days after decision on the dispositive motions or further court order.” The parties hereby agree that the current deadline for the joint pre-trial report (April 12, 2023) is suspended pursuant to L.R. 26-1.
In accordance with L.R. IA 6-1, no extensions solely regarding the joint pre-trial report deadline have been sought. This stipulation is necessary in order to comport with L.R. 26-1. There have been five prior stipulations for the extension of time regarding discovery deadlines. (ECF No. 52). There have been three prior stipulations to extend the expert disclosure dates (ECF No. 83); there has been one prior stipulation for the extension of expert deposition dates (ECF No. 87); there has been two prior extensions regarding dispositive motion deadlines and briefing schedules (ECF No. 90 and ECF No. 110).
STATEMENT OF AUTHORITY TO FILE
I attest that all signatories on this document and on whose behalf the filing is submitted concur in the filing's content and have authorize the filing of this document.
JEFFREY N. LABOVITCH.
ORDER
IT IS SO ORDERED. The current deadline for the joint pre-trial report is suspended pursuant to L.R. 26-1.