Genesis Insurance Company v. Magma Design Automation, Inc.
Filing
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ORDER GRANTING 270 Stipulation EXTENDING TIME FOR THIRD PARTY DEFENDANT EXECUTIVE RISK INDEMNITY, INC. TO FILE INITIAL RESPONSE TO NATIONALUNION'S THIRD PARTY COMPLAINT filed by National Union Fire Insurance Company of Pittsburg, PA, National Union Fire Insurance Company of Pittsburgh, PA. Response due 9/30/2014. Signed by Judge Edward J. Davila on 9/18/2014. (ecg, COURT STAFF) (Filed on 9/18/2014)
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R NIA
rd J . D a
vila
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d wa
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Dated: 9/18/2104
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Attorneys for Defendant, Cross-Defendant,
Cross-Claimant and Cross- Complainant
NATIONAL UNION FIRE INSURANCE
COMPANY OF PITTSBURGH, PA
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NO
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DERED
O OR
IT IS S
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S DISTRICT
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LEWIS BRISBOIS BISGAARD & SMITH LLP
MICHAEL K. JOHNSON, ESQ. (SBN 130293)
Michael.Johnson@lewisbrisbois.com
PAUL A. DESROCHERS, ESQ (SBN214855)
Paul.Desrochers@lewisbrisbois.com
333 Bush Street, Suite 1100
San Francisco, CA 94104
Tel: (415) 362.2580
Fax: (415) 434.0882
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N
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D IS T IC T O
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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C
SAN JOSE DIVISION
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GENESIS INSURANCE COMPANY,
CASE NO. 5:06-CV-05526 EJD
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Plaintiff,
Hon. Edward J. Davila
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v.
STIPULATION FURTHER
EXTENDING TIME FOR THIRD
PARTY DEFENDANT EXECUTIVE
RISK INDEMNITY, INC. TO FILE
INITIAL RESPONSE TO NATIONAL
UNION’S THIRD PARTY
COMPLAINT
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MAGMA DESIGN AUTOMATION, INC., et
al.,
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Defendants.
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[Local Rule 6-1(a)]
NATIONAL UNION FIRE INSURANCE
COMPANY OF PITTSBURGH, PA,
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Third Party Plaintiff,
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vs.
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EXECUTIVE RISK INDEMNITY, INC.,
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Third Party Defendant.
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AND RELATED THIRD PARTY ACTION
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Pursuant to Local Rule 6-1(a), Third Party Plaintiff National Union Fire Insurance
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Company of Pittsburgh, P.A. (“National Union”) and Third Party Defendant Executive Risk
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Indemnity, Inc. (“ERII”) (collectively with National Union, the “Parties”), by and through their
4846-8965-8142.1
C065526 EJD
STIPULATION FURTHER EXTENDING TIME FOR THIRD PARTY DEFENDANT EXECUTIVE RISK
INDEMNITY, INC. TO FILE INITIAL RESPONSE TO NATIONAL UNION’S THIRD PARTY COMPLAINT
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respective counsel, hereby stipulate and agree to further extend the time for ERII to answer or
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otherwise respond to National Union’s Amended Third-Party Complaint (Dkt. 264) as follows:
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On August 4, 2014, National Union filed its original Third Party Complaint naming ERII;
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On August 18, 2014, National Union filed its operative Amended Third Party Complaint
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against ERII, and subsequently served ERII, making ERII’s initial response due on September 2,
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2014;
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On August 27. 2014 ERII’s counsel requested, and National Union’s counsel agreed to a
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fourteen (14) day extension of time for ERII to file its initial response to National Union’s
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operative Third Party Complaint;
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On August 29, 2014 ERII and National Union executed and filed a stipulation regarding
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their agreement under Local Rule 6-1(a) as to ERII’s initial response to National Union’s Third
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Party Complaint, making ERII’s response due on September 16, 2014;
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On September 16, 2014, counsel for the Parties discussed the need to further extend the
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due date for ERII’s initial response to National Union’s Third Party Complaint to allow for further
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discussion of the potential for resolving the matters at issue between the Parties;
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The Parties believe that further extending ERII’s deadline to file its initial response by an
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additional fourteen (14) days will not alter the date of any event or any deadline already fixed by
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Court order or otherwise have a negative effect on the future scheduling in this action;
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THEREFORE, IT IS HEREBY STIPULATED by and between the Parties’ undersigned
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counsel that ERII shall file its initial response to National Union’s operative Third Party
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Complaint on or before September 30, 2014.
4846-8965-8142.1
C065526 EJD
STIPULATION FURTHER EXTENDING TIME FOR THIRD PARTY DEFENDANT EXECUTIVE RISK
INDEMNITY, INC. TO FILE INITIAL RESPONSE TO NATIONAL UNION’S THIRD PARTY COMPLAINT
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Respectfully submitted,
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Dated: September 16, 2014
TROUTMAN SANDERS LLP
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By: /s/ Terrence R. McInnis
Terrence R. McInnis
Thomas H. Prouty
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Attorneys for Third Party Defendant
EXECUTIVE RISK INDEMNITY, INC.
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Pursuant to Local Rule 5-1(i)(3), Thomas
H. Prouty hereby attests to the concurrence
of the filing of this document has been
obtained from each of the other
signatories, which shall serve in lieu of
their signatures.
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Dated: September 16, 2014
LEWIS BRISBOIS BISGAARD & SMITH
LLP
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By: /s/ Paul A. Desrochers
Michael K. Johnson
Paul A. Desrochers
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Attorneys for Third Party Plaintiff
NATIONAL UNION FIRE INSURANCE
COMPANY OF PITTSBURGH, PA
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4846-8965-8142.1
C065526 EJD
STIPULATION FURTHER EXTENDING TIME FOR THIRD PARTY DEFENDANT EXECUTIVE RISK
INDEMNITY, INC. TO FILE INITIAL RESPONSE TO NATIONAL UNION’S THIRD PARTY COMPLAINT
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