Keown v. Wyndham Worldwide Corporation Health and Welfare Plan et al
Filing
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ORDER Granting 11 Stipulation to extend time for Defendants to File response to Plaintiff's Complaint. Answer due 4/29/2011. Signed by Judge Gloria M. Navarro on 4/18/2011. (Copies have been distributed pursuant to the NEF - SLR)
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PATRICK H. HICKS, ESQ., Bar # 004632
WENDY MEDURA KRINCEK, ESQ., Bar # 6417
JAMIE CHU, ESQ., Bar # 10546
LITTLER MENDELSON
3960 Howard Hughes Parkway
Suite 300
Las Vegas, NV 89169-5937
Telephone: 702.862.8800
Fax No.:
702.862.8811
Attorneys for Defendants
CIGNA GROUP INSURANCE and THE WYNDHAM
WORLDWIDE CORPORATION HEALTH AND WELFARE
PLAN
JESSE M. SBAIH, ESQ., Bar #7898
JESSE SBAIH & ASSOCIATES, LTD
The District at Green Valley Ranch
170 S. Green Valley Parkway, Suite 280
Henderson, NV 89012-3145
Telephone: 702.896.2529
Fax No.
702.896.0529
Attorney for Plaintiff
ROSANN C. KEOWN
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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ROSANN C. KEOWN,
Plaintiff,
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Case No. 2-11-CV-00493-GMN-RJJ
vs.
LIFE INSURANCE COMPANY OF NORTH
AMERICA, a Pennsylvania Corporation,
doing business as CIGNA GROUP
INSURANCE, THE WYNDHAM
WORLDWIDE CORPORATION HEALTH
AND WELFARE PLAN, an employee
welfare benefit plan, DOES I through X,
inclusive,
SECOND STIPULATION TO EXTEND
TIME FOR DEFENDANTS TO FILE
RESPONSE TO PLAINTIFF’S
COMPLAINT
Defendants.
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Plaintiff Rosann C. Keown (“Plaintiff”) and Defendants Life Insurance Company of
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North America, d/b/a Cigna Group Insurance and Wyndham Worldwide Corporation Health
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and Welfare Plan (collectively referred to as “Defendants”), by and through their attorneys
LITTLER MENDELSON
350 South Center Street
Suite 530
Reno, NV 89501
775.348.4888
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of record, stipulate that Defendants have an additional fourteen (14) days to answer or
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otherwise plead in response to Plaintiff’s complaint. Defendants are to file their response
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on or before April 29, 2011. This is the second extension of Defendants’ time to respond to
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Plaintiff’s complaint made to this Court and is made by stipulation of the parties. This
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second extension is agreed upon by all parties as Plaintiff and Defendants are in active
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settlement negotiations at this time.
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Dated: April 15, 2011
Respectfully submitted,
Dated: April 15, 2011
Respectfully submitted,
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/s/ Jesse M. Sbaih
JESSE M. SBAIH
JESSE SBAIH & ASSOCIATES, LTD.
Attorneys for Plaintiff
ROSANN C. KEOWN
/s/ Wendy M. Krincek
PATRICK H. HICKS, ESQ.
WENDY MEDURA KRINCEK, ESQ.
JAMIE CHU, ESQ.
LITTLER MENDELSON
Attorneys for Defendant
THE WYNDHAM WORLDWIDE
CORPORATION HEALTH AND WELFARE
PLAN
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IT IS SO ORDERED.
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This ____ day of _____, 2011.
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ORDER
IT IS SO ORDERED this 18th day of April, 2011.
_______________________________
UNITED STATES DISTRICT JUDGE
________________________________
Gloria M. Navarro
United States District Judge
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LITTLER MENDELSON
350 South Center Street
Suite 530
Reno, NV 89501
775.348.4888
2.
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