Allstate Insurance Company et al v. Shah, MD et al

Filing 241

ORDER Granting 238 Stipulation to Extend Time to Reply re: 224 Motion to Stay Discovery. Replies due by 2/23/2018. Signed by Magistrate Judge Carl W. Hoffman on 2/12/2018. (Copies have been distributed pursuant to the NEF - MMM)

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1 2 3 4 5 6 7 DENNIS L. KENNEDY Nevada Bar No. 1462 JOSEPH A. LIEBMAN Nevada Bar No. 10125 JOSHUA P. GILMORE Nevada Bar No. 11576 BAILEYKENNEDY 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 8 9 10 11 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 12 13 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 DEADLINE FOR 17 Plaintiffs, DEFENDANTS’ REPLY TO PLAINTIFFS’ OPPOSITION TO 18 vs. DEFENDANTS’ MOTION TO STAY DISCOVERY PENDING RESOLUTION 19 RUSSELL J. SHAH, M.D.; DIPTI R. SHAH, OF THEIR MOTION FOR SUMMARY JUDGMENT 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, 22 Defendants. 23 ___________________________________________ 24 AND RELATED CLAIMS. 25 26 27 28 Page 1 of 3 1 Plaintiffs/Counterdefendants ALLSTATE INSURANCE COMPANY, ALLSTATE 2 PROPERTY & CASUALTY INSURANCE COMPANY, ALLSTATE INDEMNITY COMPANY, 3 and ALLSTATE FIRE & CASUALTY INSURANCE COMPANY (the “Allstate Parties”), and 4 Defendants and Counterclaimant RUSSELL J. SHAH, M.D., DIPTI R. SHAH, M.D., RADAR 5 MEDICAL GROUP, LLP dba UNIVERSITY URGENT CARE, RUSSELL J. SHAH, MD, LTD., 6 and DIPTI R. SHAH, MD, LTD. (the “Radar Parties”), by and through their respective attorneys of 7 record, stipulate and agree as follows: 8 9 1. On January 24, 2018, the Radar Parties filed their Motion to Stay Discovery Pending Resolution of their Motion for Summary Judgement [ECF No. 224] (the “Stay Motion”);1 10 2. On February 1, 2018, the Allstate Parties filed their Motion for Leave of Court to File 11 Supplemental Response to Defendants’ Motion for Summary Judgment [LR 7-2(g)] [ECF No. 230] 12 (the “Motion for Leave”); 13 3. 14 [ECF No. 233]; 15 4. On February 7, 2018, the Allstate Parties filed their Opposition to the Stay Motion The Radar Parties presently have until February 14, 2018 to file their Reply in 16 Support of the Stay Motion. Due to scheduling conflicts for the Radar Parties’ counsel, and because 17 the arguments to be presented in the Reply in Support of the Stay Motion will address, in part, the 18 arguments to be presented in the Opposition to the Motion for Leave, the Radar Parties shall now 19 have up to and including February 23, 2018 to file their Reply in Support of the Stay Motion; and 20 /// 21 /// 22 /// 23 /// 24 /// 25 /// 26 1 27 28 The Radar Parties filed their Motion for Summary Judgment (Hearing Requested) [ECF No. 183] on October 17, 2017. The Allstate Parties filed their Opposition to the Motion for Summary Judgment [ECF No. 195] on November 21, 2017. The Radar Parties filed their Reply in Support of the Motion for Summary Judgment [ECF No. 213] on December 22, 2017. Page 2 of 3 1 2 5. This is the first stipulation to extend the deadline to file the Reply in Support of the Stay Motion. This stipulation is made in good faith and not to delay the proceedings. 3 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 4 DATED this 9th day of February, 2018. DATED this 9th day of February, 2018. 5 McCORMICK, BARSTOW, SHEPPARD, WAYTE & CARRUTH LLP BAILEYKENNEDY 6 7 8 9 10 11 12 13 14 15 By: By: /s/ Todd W. Baxter DYLAN P. TODD TODD W. BAXTER 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 ERON Z. CANNON FAIN ANDERSON VANDERHOEF ROSENDAHL O'HALLORAN SPILLANE PLLC 701 Fifth Avenue, Suite 4750 Seattle, WA 98104 Attorneys for Plaintiffs/Counterdefendants IT IS SO ORDERED. 16 17 UNITED STATES MAGISTRATE JUDGE 18 DATED: February 12, 2018 19 20 21 22 23 24 25 26 27 28 Page 3 of 3

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