Allstate Insurance Company et al v. Shah, MD et al
Filing
163
ORDER Granting #161 Stipulation for Extension of Time (First Request) re #146 MOTION to Compel. Responses due by 6/16/2017. Replies due by 6/23/2017. Signed by Magistrate Judge Carl W. Hoffman on 6/9/2017. (Copies have been distributed pursuant to the NEF - SLD)
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DENNIS L. KENNEDY
Nevada Bar No. 1462
JOSEPH A. LIEBMAN
Nevada Bar No. 10125
JOSHUA P. GILMORE
Nevada Bar No. 11576
BAILEYKENNEDY
8984 Spanish Ridge Avenue
Las Vegas, Nevada 89148-1302
Telephone: 702.562.8820
Facsimile: 702.562.8821
DKennedy@BaileyKennedy.com
JLiebman@BaileyKennedy.com
JGilmore@BaileyKennedy.com
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Attorneys for Defendants & Counterclaimant
RUSSELL J. SHAH, M.D.; DIPTI R. SHAH,
M.D.; RUSSELL J. SHAH, MD, LTD.; DIPTI
R. SHAH, MD, LTD.; and RADAR
MEDICAL GROUP, LLP dba UNIVERSITY
URGENT CARE
UNITED STATES DISTRICT COURT
DISTRICT OF NEVADA
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14 ALLSTATE INSURANCE COMPANY,
ALLSTATE PROPERTY & CASUALTY
Case No. 2:15-cv-01786-APG-CWH
15 INSURANCE COMPANY, ALLSTATE
INDEMNITY COMPANY, and ALLSTATE
16 FIRE & CASUALTY INSURANCE
COMPANY,
STIPULATION AND ORDER TO
EXTEND DEADLINES
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Plaintiffs,
(First Request)
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vs.
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RUSSELL J. SHAH, M.D.; DIPTI R. SHAH,
20 M.D.; RUSSELL J. SHAH, MD, LTD.; DIPTI
R. SHAH, MD, LTD.; and RADAR MEDICAL
21 GROUP, LLP dba UNIVERSITY URGENT
CARE, Does 1-100, and ROES 101-200,
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Defendants.
23 ___________________________________________
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AND RELATED CLAIMS.
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Page 1 of 3
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Plaintiffs/Counterdefendants ALLSTATE INSURANCE COMPANY, ALLSTATE
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PROPERTY & CASUALTY INSURANCE COMPANY, ALLSTATE INDEMNITY COMPANY,
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and ALLSTATE FIRE & CASUALTY INSURANCE COMPANY (the “Allstate Parties”), and
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Defendants and Counterclaimant RUSSELL J. SHAH, M.D., DIPTI R. SHAH, M.D., RADAR
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MEDICAL GROUP, LLP dba UNIVERSITY URGENT CARE, RUSSELL J. SHAH, MD, LTD.,
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and DIPTI R. SHAH, MD, LTD. (the “Radar Parties”), by and through their respective attorneys of
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record, stipulate and agree as follows:
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1.
Relevancy of Their Third Set of Requests for Production of Documents [ECF No. 146] (“Motion to
Compel”).
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2.
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On May 26, 2017, the Allstate Parties filed their Motion to Dismiss Amended
Counterclaims Pursuant to Fed. R. Civ. P. 12(b)(6) [ECF No. 153] (“Motion to Dismiss”).
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The Radar Parties presently have until June 9, 2017 to file their Reply in Support of
their Motion to Compel.
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Following an extension of time to respond [ECF No. 154], on June 2, 2017, the
Allstate Parties filed their Response to the Motion to Compel [ECF No. 155].
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On May 12, 2017, the Radar Parties filed their Motion to Compel Addressing the
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The Radar Parties presently have until June 9, 2017 to file their Response to the
Motion to Dismiss.
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6.
Due to unforeseen circumstances and scheduling conflicts for the Radar Parties’
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counsel, the Radar Parties shall now have up to and including June 16, 2017 to file their Response to
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the Motion to Dismiss and up to and including June 23, 2017 to file their Reply in Support of their
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Motion to Compel.
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7.
This is the first stipulation for an extension of time to file the Response to the Motion
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to Dismiss and Reply in Support of the Motion to Compel. This stipulation is made in good faith
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and not to delay the proceedings.
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IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
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DATED this 8th day of June, 2017.
DATED this 8th day of June, 2017.
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BAILEYKENNEDY
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FAIN ANDERSON VANDERHOEF
ROSENDAHL O'HALLORAN SPILLANE
PLLC
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By:
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By:
/s/ Eron Z. Cannon
ERON Z. CANNON
701 Fifth Avenue, Suite 4750
Seattle, WA 98104
JARED P. GREEN
TODD W. BAXTER
McCORMICK, BARSTOW,
SHEPPARD, WAYTE & CARRUTH
LLP
8337 West Sunset Road, Suite 350
Las Vegas, NV 89113
/s/ Joshua P. Gilmore
DENNIS L. KENNEDY
JOSEPH A. LIEBMAN
JOSHUA P. GILMORE
8984 Spanish Ridge Avenue
Las Vegas, NV 89148
Attorneys for Defendants & Counterclaimant
Attorneys for Plaintiffs/Counterdefendants
IT IS SO ORDERED.
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UNITED STATES MAGISTRATE JUDGE
DATED: June 9, 2017
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