Rigsby et al v. Intercare Specialty Risk Insurance Services, Inc. , et al.,

Filing 83

STIPULATION and ORDER signed by District Judge Morrison C. England, Jr on 1/24/2018 ORDERING that the time for said Cross-Complainant to file its opposition or other response to the Motion is hereby extended until May 9, 2018. Additionally, the time for said Plaintiffs to file reply to any opposition to the Motion is hereby extended until May 23, 2018. (Becknal, R)

Download PDF
1 2 3 4 5 6 Peter Dunn Lemmon, Esq., Ca. Bar No. 138691 Law Offices of Peter Dunn Lemmon 210 Magnolia Avenue, Suite 2 Auburn, California 95603 Email: peter@pdllaw.com Telephone: 530.265.6100 FAX: 530-264-8448 Attorneys for Defendants Intercare Specialty Risk Insurance Services, Inc., ISR Holdings, Inc., and Phoenix Risk Management 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA – SACRAMENTO DIVISION 10 Law Offices of Peter Dunn Lemmon 210 Magnolia Avenue, Suite 2, Auburn, California 95603 Telephone (530) 265-6100 11 12 13 KAREN RIGSBY, Trustee of the MARSH REVOCABLE TRUST OF 2003, and DONALD P. STEINMEYER, an individual, Plaintiff(s), 14 15 16 17 18 19 20 21 22 vs. INTERCARE SPECIALITY RISK INSURANCE SERVICES, INC., a California Corporation; ISR HOLDINGS, INC., a California Corporation; KEVIN HAMM, an individual; and PATRIOT NATIONAL, INC., A Florida Corporation. Case No.: 2:17-cv-01347-MCE-EFB STIPULATION AND ORDER RE: EXTENSION OF TIME TO OPPOSE MOTION OF CROSS-DEFENDANTS KAREN RIGSBY AND DONALD P. STEINMEYER TO DISMISS CROSS COMPLAINT Defendant(s). _________________________________ AND RELATED CROSS ACTION 23 24 25 26 27 28 Counsel for Plaintiffs and Cross-Defendants, KAREN RIGSBY and DONALD P. STEINMEYER (“Plaintiffs”), hereby stipulates with Counsel for Cross-Complainant ISR HOLDINGS, INC. (“ISR”), that good cause exists to extend the time for response by ISR to the Motion of Cross-Defendants Karen Rigsby and Donald P. Steinmeyer to Dismiss CrossComplaint of ISR Holdings, Inc., filed herein Oct. 26, 2017 (“the Motion”). Good cause 1 __________________________________________________________________________________ STIPULATION AND ORDER RE: EXTENSION OF TIME TO OPPOSE MOTION OF CROSS-DEFENDANTS KAREN RIGSBY AND DONALD P. STEINMEYER TO DISMISS CROSS COMPLAINT 1 exists because ISR and Plaintiffs have agreed to participate in a global mediation of this case 2 not later than April 11, 2018. Therefore, it is agreed that there is good cause to modify the 3 briefing schedule set by the Court’s minute order herein of Nov. 7, 2017, by extending the 4 time for response by ISR to a date twenty eight (28) days after April 11, 2018, or May 9, 5 2018, and by extending the time for reply by Plaintiffs to a date fourteen (14) days after May 6 9, 2018. 7 8 Therefore, that the time for said Cross-Complainant to file its opposition or other response to the Motion is hereby extended until May 9, 2018. 9 Additionally, the time for said Plaintiffs to file reply to any opposition to the Motion is hereby extended until May 23, 2018. 11 Law Offices of Peter Dunn Lemmon 210 Magnolia Avenue, Suite 2, Auburn, California 95603 Telephone (530) 265-6100 10 IT IS SO AGREED. 12 Dated: January 24, 2018 ____________________________ Peter Dunn Lemmon Attorney for ISR Holdings, Inc. 13 14 15 16 Dated: January 24, 2018 KATZOFF & RIGGS, LLP 17 By: /s/Robert R. Riggs Robert R. Riggs Attorney for Plaintiffs KAREN RIGSBY, Trustee, and DONALD P. STEINMEYER 18 19 20 21 22 23 24 By the Court: Good cause appearing, IT IS SO ORDERED. Dated: January 24, 2018 25 26 27 28 2 __________________________________________________________________________________ STIPULATION AND ORDER RE: EXTENSION OF TIME TO OPPOSE MOTION OF CROSS-DEFENDANTS KAREN RIGSBY AND DONALD P. STEINMEYER TO DISMISS CROSS COMPLAINT

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?