Sunrise Hospital and Medical Center, LLC v. Rocky Mountain Hospital and Medical Service, Inc. et al
Filing
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ORDER granting 55 Stipulation to Stay Discovery; Signed by Magistrate Judge George Foley, Jr on 4/29/2019. (Copies have been distributed pursuant to the NEF - JM)
Case 2:18-cv-00761-RFB-GWF Document 55 Filed 04/26/19 Page 1 of 4
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REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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James J. Pisanelli, Esq., Bar No. 4027
JJP@pisanellibice.com
Debra L. Spinelli, Esq., Bar No. 9695
DLS@pisanellibice.com
PISANELLI BICE PLLC
400 South 7th Street, Suite 300
Las Vegas, Nevada 89101
Telephone: (702) 214-2100
Kevin D. Tessier, Esq. (admitted pro hac vice)
ktessier@reedsmith.com
Karen E. Vaysman, Esq. (admitted pro hac vice)
kvaysman@reedsmith.com
REED SMITH LLP
10 South Wacker Drive
Chicago, Illinois 60606-7507
Telephone: (312) 207-1000
Attorneys for Rocky Mountain Hospital and Medical
Service, Inc. d/b/a Anthem Blue Cross and Blue Shield and
HMO Colorado Inc. d/b/a HMO Nevada
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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SUNRISE HOSPITAL AND MEDICAL
15 CENTER, LLC
Plaintiff,
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vs.
18 ROCKY MOUNTAIN HOSPITAL AND
MEDICAL SERVICE, INC. d/b/a ANTHEM
19 BLUE CROSS AND BLUE SHIELD; HMO
COLORADO INC. d/b/a HMO NEVADA
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Defendants.
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Case No.: 2:18-cv-00761-RFB-GWF
STIPULATION AND ORDER TO EXTEND
DISCOVERY STAY
(Third Request)
Plaintiff Sunrise Hospital and Medical Center, LLC (“Plaintiff”) and Defendants Rocky
23 Mountain Hospital and Medical Service, Inc. d/b/a Anthem Blue Cross and Blue Shield and HMO
24 Colorado Inc. d/b/a HMO Nevada (“Defendants”, and collectively with Plaintiff, the “Parties”) submit
25 the following Stipulation and Order to Extend Discovery Stay:
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Case 2:18-cv-00761-RFB-GWF Document 55 Filed 04/26/19 Page 2 of 4
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1.
On March 14, 2019, the Parties submitted a Status Report and Stipulation to Stay
2 Discovery in which they reported the Parties’ agreement to pursue private mediation and requested to
3 stay discovery for fourteen (14) days to allow for the selection of a mediator and mediation date.
4 (Dkt. 45.) The Court entered the Stipulation and Order on March 15, 2019. (Dkt. 46.)
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On March 29, 2019, the Parties submitted a Status Report (Dkt. 48) and Stipulation
6 (Dkt. 50) in which they reported that the Parties’ efforts to select a mediator and mediation date are
7 ongoing and requested to extend the discovery stay for an additional fourteen (14) days. The Court
8 entered the Stipulation and Order on April 1, 2019. (Dkt. 51.)
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3.
On April 12, 2019, the Parties submitted a Status Report (Dkt. 52) and a Stipulation
REED SMITH LLP
A limited liability partnership formed in the State of Delaware
10 (Dkt. 53) in which they reported the Parties’ agreement as to a mediator and agreed to stay discovery
11 for an additional fourteen (14) days to allow the Parties more time to confirm a mediation date. The
12 Court entered the Stipulation and Order on April 15, 2019. (Dkt. 54.)
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4.
On April 24, 2019, the Parties confirmed that a mediation of this case is scheduled for
14 June 28, 2019 at 10:00 am. As such, the Parties agree and stipulate to extend the stay of discovery
15 pending mediation up through and including June 28, 2019.
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A stay of discovery up through and including June 28, 2019 will affect the Parties’
17 operative deadlines to file dispositive motions and a joint pretrial. (Dkt. 39.) As such, in the event that
18 this matter is not resolved at mediation, the Parties further agree and stipulate that they will submit to
19 the Court a proposed amended scheduling order within fourteen (14) days following the unsuccessful
20 mediation, on or by July 12, 2019.
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6.
This is the Parties’ third request to extend the stay of discovery.
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Case 2:18-cv-00761-RFB-GWF Document 55 Filed 04/26/19 Page 3 of 4
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7.
There is good cause to extend the stay. An extension of the stay will allow the Parties
2 to focus their continuing efforts on early resolution in an efficient manner and save the Parties’ time
3 and expense of discovery. Moreover, as no trial in this matter has been set, the requested extension of
4 the stay does not require a change to any trial date. The Parties jointly request to extend the stay.
5 Neither Party to this lawsuit will be prejudiced by the extension of the stay.
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IT IS SO AGREED AND STIPULATED:
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Dated this 25th day of April, 2019
Dated this 25th day of April, 2019
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Lapidus & Lapidus, PLC
REED SMITH LLP
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By: /s/ Daniel C. Lapidus
JIM D. BAUCH
DANIEL C. LAPIDUS
RYAN D. LAPIDUS
Lapidus & Lapidus, PLC
177 South Beverly Drive
Beverly Hills, California 90212
By: /s/ Karen E. Vaysman
KEVIN D. TESSIER
KAREN E. VAYSMAN
10 South Wacker Drive
Chicago, Illinois 60606
REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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In Association With:
JAMES J. PISANELLI, ESQ.
DEBRA L. SPINELLI, ESQ.
PISANELLI BICE PLLC
400 South 7th Street, Suite 300
Las Vegas, Nevada 89101
In Association With:
JOSHUA M. DICKEY
BAILEYKENNEDY
8984 Spanish Ridge Avenue
Las Vegas, Nevada 89148-1302
Attorneys for Rocky Mountain Hospital and
Medical Service, Inc. d/b/a Anthem Blue Cross
and Blue Shield and HMO Colorado Inc. d/b/a
HMO Nevada
Attorney for Sunrise Hospital and Medical
Center, LLC
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IT IS SO ORDERED:
UNITED STATE DISTRICT JUDGEJUDGE
UNITED STATES MAGISTRATE
DATED:
April 29, 2019
CASE NO.: 2:18-cv-00761-RFB-GWF
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