Teodoro v. Allstate Fire and Casualty Insurance Company

Filing 17

ORDER Granting 16 Stipulation for Extension of Time re 11 Motion to Dismiss and 13 Motion to Strike (Second Request). Responses due by 10/27/2017. Replies due by 11/17/2017. Signed by Judge Andrew P. Gordon on 10/12/17. (Copies have been distributed pursuant to the NEF - MR)

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Case 2:17-cv-02135-APG-VCF Document 16 Filed 10/12/17 Page 1 of 2 1 2 3 4 5 6 7 JESSE SBAIH & ASSOCIATES, LTD. Jesse M. Sbaih (#7898) Ines Olevic-Saleh (#11431) The District at Green Valley Ranch 170 South Green Valley Parkway, Suite 280 Henderson, Nevada 89012 Tel (702) 896-2529 Fax (702) 896-0529 jsbaih@sbaihlaw.com iolevic@sbaihlaw.com Attorneys for Plaintiff, individually, and on behalf others similarly situated 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 TANYA TEODORO, individually, and on behalf others similarly situated, Case No. 2:17-cv-02135-APG-VCF STIPULATION AND ORDER AND PROPOSED ORDER FOR EXTENSION OF TIME FOR PLAINTIFF TO RESPOND TO (1) DEFENDANT’S MOTION TO DISMISS AND MEMORANDUM IN SUPPORT, AND (2) ALTERNATIVE MOTION TO DISMISS OR STRIKE CLASS ACTION ALLEGATIONS AND MEMORANDUM IN SUPPORT 12 13 14 Plaintiff, vs. 15 16 17 18 ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY; and DOES I – V and ROES VI – X, inclusive; (SECOND REQUEST) Defendants. 19 IT IS HEREBY STIPULATED, by and between Plaintiff Tanya Teodoro (“Plaintiff”) and 20 Defendant Allstate Fire and Casualty Insurance Company (“Defendant”), through their respective 21 counsel that Defendant filed its (1) Defendant’s Motion to Dismiss and Memorandum in Support 22 (DKT 11), and (2) Alternative Motion to Dismiss or Strike Class Action Allegations and 23 24 Memorandum in Support (DKT 13) (collectively “Defendants’ Motions”) on September 15, 2017. 25 It is stipulated and agreed by and between Plaintiff and Defendant to extend the deadline for 26 Plaintiff to file responses to Defendants’ Motions from October 13, 2017 as stipulated in the First 27 Request (September 29, 2017 was the original deadline) to October 27, 2017. 28 1 of 2 Case 2:17-cv-02135-APG-VCF Document 16 Filed 10/12/17 Page 2 of 2 1 Such request is made in good faith as Plaintiff’s counsel is scheduled to appear in a trial on 2 October 13, 2017 and was required to respond to unanticipated briefings and hearings in preparation 3 for said trial. 4 Defendants’ Motions. 5 6 Consequently, Plaintiff’s counsel needs additional time to adequately respond to It is further stipulated and agreed that Defendants’ Reply to Plaintiff’s Response to Defendants’ Motions will be due by November 17, 2017. 7 The foregoing request for extension of deadlines is made in good faith and is not made for the 8 9 10 purpose of delay. RESPECTFULLY SUBMITTED this _12th day of October, 2017. 11 BALLARD SPAHR LLP JESSE SBAIH & ASSOCIATES, LTD. By:_/s/ Abran E. Vigil, Esq. Abran E. Vigil, Esq. 100 North City Parkway, Suite 1750 Las Vegas, NV 89106 Attorneys for Defendant By:_ /s/ Ines Olevic-Saleh, Esq._________ Jesse M. Sbaih, Esq. Ines Olevic-Saleh, Esq. The District at Green Valley Ranch 170 South Green Valley Parkway, Suite 280 Henderson, Nevada 89012 Attorneys for Plaintiff 12 13 14 15 16 17 18 19 20 ORDER IT IS SO ORDERED. 21 22 23 24 _______________________________________________ UNITED STATES DISTRICT JUDGE Dated: October 12, 2017. Dated: _________________________________ 25 26 27 28 2 of 2

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