Philadelphia Indemnity Insurance Company v. Five Star Restaurants, LLC et al

Filing 98

ORDER Granting 97 Stipulation to Extend Time Re: 95 Motion for Summary Judgment. Responses due by 2/25/2019. Replies due by 3/11/2019. Signed by Judge Andrew P. Gordon on 2/19/2019. (Copies have been distributed pursuant to the NEF - ADR)

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1 2 3 4 5 6 ADAM K. BULT, ESQ., Nevada Bar No. 9332 abult@bhfs.com TRAVIS F. CHANCE, ESQ., Nevada Bar No. 13800 tchance@bhfs.com BROWNSTEIN HYATT FARBER SCHRECK, LLP 100 North City Parkway, Suite 1600 Las Vegas, NV 89106-4614 Telephone: 702.382.2101 Facsimile: 702.382.8135 Attorneys for Defendants Five Star Restaurants, LLC; Westbury Manor Enterprises, Inc.; Vincent Scotto; and Michelina Scotto 7 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 100 North City Parkway, Suite 1600 Las Vegas, NV 89106-4614 702.382.2101 B ROWNSTEIN H YATT F ARBER S CHRECK , LLP 8 11 PHILADELPHIA INDEMNITY INSURANCE COMPANY, a Pennsylvania Corporation; 12 Plaintiff, v. 13 14 15 16 17 CASE NO.: 2:17-cv-00871-APG-PAL FIVE STAR RESTAURANTS, LLC, a Nevada limited liability company; WESTBURY MANOR ENTERPRISES, INC., a Delaware foreign business corporation; VINCENT SCOTTO, an individual; MICHELINA SCOTTO, an individual; DOE INDIVIDUALS 1 through 10, inclusive; ROE BUSINESS ENTITIES 11 through 20, inclusive; STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF TIME TO RESPOND TO PHILADELPHIA INDEMNITY COMPANY’S MOTION FOR SUMMARY JUDGMENT [ECF NO. 95] (First Request) 18 Defendants. 19 20 Defendants Five Star Restaurants, LLC, Westbury Manor Enterprises, Inc., Vincent 21 Scotto, and Michelina Scotto ("Defendants"), by and through their counsel of record the law firm 22 of Brownstein Hyatt Farber Schreck, LLP; and Plaintiff Philadelphia Indemnity Insurance 23 Company ("Plaintiff", together with Defendants, the "Parties"), by and through its counsel of 24 record The Faux Law Group, hereby stipulate and agree as follows: 25 26 27 28 1. On January 28, 2019, Plaintiff filed its Motion for Summary Judgment as to Liability ("Motion") (ECF No. 95). 2. Defendants’ Opposition to the Motion is due on February 19, 2019. Defendants require additional time to file their response, have requested such time of Plaintiff, and Plaintiff 18773291 1 1 has agreed to extend Defendants’ time to respond subject to a reciprocal extension. 2 3. This request for extension is made in good faith and not for the purposes of delay. 3 4. IT IS HEREBY STIPULATED by and among the parties that the deadlines for 4 Defendants to file its response to the Motion is extended to and until February 25, 2019. The 5 deadline to file and serve any reply in support of the Motion is March 11, 2019, pursuant to LR 7- 6 2. This the first request for an extension of time to file the response to the pending Motion. 7 DATED this 15th day of February, 2019. DATED this 15th day of February, 2019. 8 BROWNSTEIN HYATT FARBER SCHRECK, LLP THE FAUX LAW GROUP By: /s/ Travis F. Chance ADAM K. BULT, ESQ., #9332 TRAVIS F. CHANCE, ESQ., #13800 100 North City Parkway, Suite 1600 Las Vegas, NV 89106-4614 By: /s/ Jordan F. Faux KURT C. FAUX, ESQ., #3407 JORDAN F. FAUX, ESQ., #12205 WILLI H. SIEPMANN, ESQ., #2478 2625 North Green Valley Parkway, Suite 100 Henderson, NV 89014 Attorneys for Defendants Attorneys for Plaintiff 10 100 North City Parkway, Suite 1600 Las Vegas, NV 89106-4614 702.382.2101 B ROWNSTEIN H YATT F ARBER S CHRECK , LLP 9 11 12 13 IT IS HEREBY ORDERED, ADJUDGED, AND DECREED that the foregoing 14 15 Stipulation is APPROVED. 16 IT IS SO ORDERED: 17 18 UNITED STATES DISTRICT JUDGE Dated: February 19, 2019. 19 DATED this 20 21 22 23 24 25 26 27 28 18773291 2 day of , 2019.

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