Philadelphia Indemnity Insurance Company v. Five Star Restaurants, LLC et al
Filing
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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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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
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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100 North City Parkway, Suite 1600
Las Vegas, NV 89106-4614
702.382.2101
B ROWNSTEIN H YATT F ARBER S CHRECK , LLP
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PHILADELPHIA INDEMNITY
INSURANCE COMPANY, a Pennsylvania
Corporation;
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Plaintiff,
v.
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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)
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Defendants.
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Defendants Five Star Restaurants, LLC, Westbury Manor Enterprises, Inc., Vincent
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Scotto, and Michelina Scotto ("Defendants"), by and through their counsel of record the law firm
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of Brownstein Hyatt Farber Schreck, LLP; and Plaintiff Philadelphia Indemnity Insurance
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Company ("Plaintiff", together with Defendants, the "Parties"), by and through its counsel of
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record The Faux Law Group, hereby stipulate and agree as follows:
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1.
On January 28, 2019, Plaintiff filed its Motion for Summary Judgment as to
Liability ("Motion") (ECF No. 95).
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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
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has agreed to extend Defendants’ time to respond subject to a reciprocal extension.
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This request for extension is made in good faith and not for the purposes of delay.
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IT IS HEREBY STIPULATED by and among the parties that the deadlines for
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Defendants to file its response to the Motion is extended to and until February 25, 2019. The
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deadline to file and serve any reply in support of the Motion is March 11, 2019, pursuant to LR 7-
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2. This the first request for an extension of time to file the response to the pending Motion.
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DATED this 15th day of February, 2019.
DATED this 15th day of February, 2019.
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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
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100 North City Parkway, Suite 1600
Las Vegas, NV 89106-4614
702.382.2101
B ROWNSTEIN H YATT F ARBER S CHRECK , LLP
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IT IS HEREBY ORDERED, ADJUDGED, AND DECREED that the foregoing
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Stipulation is APPROVED.
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IT IS SO ORDERED:
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UNITED STATES DISTRICT JUDGE
Dated: February 19, 2019.
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DATED this
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18773291
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day of
, 2019.
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