Prudential Insurance Company of America v. Lee et al

Filing 22

ORDER Granting 18 Motion for Leave to Appear Telephonically at Scheduling Conference. Signed by Magistrate Judge Cam Ferenbach on 6/15/17. (Copies have been distributed pursuant to the NEF - MR)

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1 2 3 4 5 6 7 MARK J. CONNOT (10010) FOX ROTHSCHILD LLP 1980 Festival Plaza Drive, Suite 700 Las Vegas, Nevada 89135 Telephone: 702.262.6899 Facsimile: 702.597.5503 mconnot@foxrothschild.com PATRICK A. LEE (pro hac pending) 203 E. Oakland St. Rapid City, South Dakota 57701 Telephone: (605) 341-4360 plee@olc.edu 8 Attorneys for Faith Lee 9 UNITED STATES DISTRICT COURT 11 FOX ROTHSCHILD LLP 1980 Festival Plaza Drive, Suite 700 Las Vegas, Nevada 89135 10 DISTRICT OF NEVADA 12 THE PRUDENTIAL INSURANCE COMPANY OF AMERICA, Case No.: 2:17-CV-00900-JCM-VCF 13 DEFENDANT FAITH LEE’S MOTION TO APPEAR TELEPHONICALLY AT SCHEDULING CONFERENCE Plaintiff, 14 v. 15 16 17 FAITH LEE, PETRA WILSON, MARIO WILSON, JESS WILSON, HARMANI WILSON, M.W., a Minor, H.W., a Minor and E.W., a minor, Defendants. 18 19 Due to a scheduling conflict, Defendant Faith Lee (“Lee”), by and through her 20 undersigned counsel, respectfully requests permission for her counsel to appear telephonically 21 for the scheduling conference set for June 26, 2017 at 11:00 am in Courtroom 3D. Plaintiff’s 22 local counsel, Mark Connot, will be at the airport for a 12:18 PM flight on June 26, 2017, 23 making an appearance at 11:00 AM in Court for a scheduling conference difficult if not 24 impossible, and Plaintiff’s counsel Patrick Lee resides in South Dakota and it would be an 25 expense and a hardship for him to attend in person. Accordingly, Mark Connot and Patrick Lee 26 respectfully request that the Court permit them to appear telephonically. 27 Plaintiff’s counsel has already been granted permission pursuant to an Order [ECF No. 28 12] filed by the Court on May 26, 2017 with a call-in telephone number of (888) 273-3658, Page 1 of 2 ACTIVE\49602720.v1-6/14/17 1 access code 3912597 to be made on a land line five minutes prior to the hearing time. Defendant 2 Lee’s counsel requests permission to join in on the conference call already set up per the Court’s 3 May 26, 2017 Order. If the Court’s system is unable to accommodate a conference call, 4 Defendant Lee’s counsel will make arrangement for a conference line that all counsel can call for 5 the hearing. 6 DATED this 14th day of June, 2017. 7 FOX ROTHSCHILD LLP 8 9 /s/ Mark J. Connot MARK J. CONNOT (10010) 1980 Festival Plaza Drive, Suite 700 Las Vegas, Nevada 89135 10 FOX ROTHSCHILD LLP 1980 Festival Plaza Drive, Suite 700 Las Vegas, Nevada 89135 11 and 12 PATRICK A. LEE (pro hac pending) 203 E. Oakland St. Rapid City, South Dakota 57701 13 14 15 Attorneys for Faith Lee 16 17 IT IS SO ORDERED. 18 DATED this 15th day of June, 2017. ___ 19 __________________________________ CAM FERENBACH UNITED STATES MAGISTRATE JUDGE 20 21 22 23 24 25 26 27 28 Page 2 of 2 ACTIVE\49602720.v1-6/14/17

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