Williamson v. Aetna Life Insurance Company
Filing
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ORDER Granting 10 Stipulation to Extend Deadlines. See Order for deadlines. Signed by Magistrate Judge Carl W. Hoffman on 3/30/2018. (Copies have been distributed pursuant to the NEF - ADR)
Case 2:17-cv-02653-RFB-CWH Document 10 Filed 03/28/18 Page 1 of 3
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Julie A. Mersch, Esq.
Nevada Bar No. 004695
LAW OFFICE OF JULIE A. MERSCH
701 S.7th Street
Las Vegas, NV 89101
(702) 387-5868
Fax (702) 387-0109
jam@merschlaw.com
Attorney for Plaintiff Sondra Williamson
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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SONDRA WILLIAMSON
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Plaintiff,
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vs.
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AETNA LIFE INSURANCE COMPANY,
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as Claims Administrator for the Bank of
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America Long-Term Disability Plan; DOES I )
through V; and ROE CORPORATIONS I
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through V, inclusive,
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Defendants.
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CASE NO.: 2:17-cv-02653-RFB-CWH
STIPULATION AND ORDER TO
EXTEND DEADLINES
(FIRST REQUEST)
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IT IS HEREBY STIPULATED by the parties hereto, by and through their
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undersigned counsel of record that, pursuant to LR 26-4, the Scheduling Order (Doc. # 8) be
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amended as follows:
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I.
Discovery Completed
Defendant AETNA LIFE INSURANCE COMPANY (AETNA) produced its ERISA
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Administrative Record (AR) to Plaintiff for her review on January 16, 2018, and
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supplemented the AR with additional Plan Documents on February 6, 2018. Plaintiff
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reviewed the AR and determined that additional discovery is not necessary. Discovery briefs
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were not filed.
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////
DISCOVERY PLAN AND SCHEDULING ORDER (Special Scheduling Review Requested)
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Case 2:17-cv-02653-RFB-CWH Document 10 Filed 03/28/18 Page 2 of 3
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II.
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Discovery Remaining and Reason for Request for Extension
Defendant will file the joint AR with this court by April 4, 2018. Plaintiff’s Rule 52
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and/or Rule 56 Motion is due by May 2, 2018. Defendant’s response is due by June 1, 2018,
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and Plaintiff’s reply is due by June 15, 2018. Attorney for Plaintiff is scheduled to be out of
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the country for two weeks in April, and will need additional time to file the Rule 52/Rule 56
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Motion.
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III.
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Proposed Discovery Schedule
Plaintiff WILLIAMSON and Defendant AETNA agree and stipulate to the following
proposed deadline extensions:
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Description:
Current Deadline:
Proposed:
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Plaintiff’s Dispositive ERISA Motion
under Rule 52 and/or 56
05/02/18
05/18/18
Aetna’s Response to Dispositive
Motion
06/01/18
06/18/18
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Plaintiff’s Reply
06/15/18
07/02/18
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We, the undersigned, represent to the Court that this request for extension is made in
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good faith and not for purposes of delay.
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WHEREFORE, the parties jointly request that this Court adopt the proposed
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scheduling deadlines as indicated above.
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DATED: March 28, 2018
LAW OFFICE OF JULIE A. MERSCH
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By:
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/s/ Julie A. Mersch
JULIE A. MERSCH
jam@merschlaw.com
Nevada Bar No.: 004695
701 S. 7th Street
Las Vegas, NV 89101
Attorney for Plaintiff WILLIAMSON
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////
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////
DISCOVERY PLAN AND SCHEDULING ORDER (Special Scheduling Review Requested)
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Case 2:17-cv-02653-RFB-CWH Document 10 Filed 03/28/18 Page 3 of 3
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DATED: March 28, 2018
OGLETREE, DEAKINS, NASH, SMOAK &
STEWART, P.C.
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By:
/s/ Ann-Martha Andrews
ANN-MARTHA ANDREWS
ann.andrews@ogletree.com
Nevada Bar No.
Esplanade Center III, Suite 800
2415 East Camelback Road
Phoenix, AZ 85016
Attorneys for Defendant AETNA
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IT IS SO ORDERED:
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March 30, _ day of
2018
Dated this
, 2018.
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UNITED STATES MAGISTRATE JUDGE
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DISCOVERY PLAN AND SCHEDULING ORDER (Special Scheduling Review Requested)
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