Miller et al v. Weinmann et al
Filing
94
ORDER Granting 93 Stipulation for Extension of Time (Second Request). Scheduling Conference set for 4/29/2025 at 09:00 AM in LV Courtroom 6C before Chief Judge Andrew P. Gordon. Calendar Call set for 5/13/2025 at 09:00 AM in LV Courtroom 6C before Chief Judge Andrew P. Gordon. Jury Bench Trial set for 5/19/2025 at 09:00 AM in LV Courtroom 6C before Chief Judge Andrew P. Gordon. Signed by Chief Judge Andrew P. Gordon on 1/7/2025. (Copies have been distributed pursuant to the NEF - ALZ) Modified trial type on 1/7/2025 (MAJ).
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ROB L. PHILLIPS
Nevada Bar No. 8225
Rob.phillips@fisherbroyles.com
FISHERBROYLES, LLP
5670 Wilshire Blvd., Suite 1800
Los Angeles, California 90036
Telephone: (702) 518-1239
Counsel for Plaintiffs/Counter-Defendants
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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FISHERBROYLES, LLP
5670 Wilshire Blvd., Suite 1800
Los Angeles, CA 90036
Telephone: (702) 518-1239
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Case No. 2:19-CV-02213-APG-DJA
Dennis R. Miller, an individual, and Omni
Block, a Nevada Corporation,
Plaintiff,
v.
JOINT STIPULATION AND
ORDER TO CONTINUE
SCHEDULING CONFERENCE AND
TRIAL DATES
Edward M. Weinmann, an individual, and
Advanced Masonry Consulting Inc., a Florida
Corporation,
Defendants.
_____________________________________
(SECOND REQUEST)
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Edward M. Weinmann, an individual,
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Counterclaimant,
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v.
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Dennis R. Miller, an individual, and Omni
Block, a Nevada Corporation,
Counter-Defendants.
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Plaintiffs and Counter-Defendants, Dennis R. Miller and Omni Block, (“Plaintiffs”) and
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Defendants and Counterclaimants, Edward M. Weinmann and Advanced Masonry Consulting,
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Inc., (“Defendants”) hereby stipulate to continue the scheduling conference date and trial date
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currently set for January 14, 2025 and January 27, 2025, respectively. Specifically, the parties
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seek to continue the current scheduling conference and trial date ninety (90) days until May 5,
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2025 or as soon thereafter as the Court’s calendar allows.
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The need for the continuance is based on a serious medical event suffered by the wife of
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Plaintiffs’ counsel. In general, Plaintiffs’ counsel’s wife suffered an epileptic seizure in late
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November 2024. (Dec. of Phillips at ¶2). Unfortunately, as a result of the epileptic seizure,
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Plaintiffs’ counsel’s wife lost her memory. (Dec. of Phillips at ¶2). Due to the prescribed treatment
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and recovery protocol, Plaintiffs’ counsel will be spending a great deal of time and effort to assist
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his wife over the next few months making competent trial preparation based on the current trial
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date unrealistic. (Dec. of Phillips at ¶2).
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IT IS SO STIPULATED.
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Dated: January 6, 2025
Dated: January 6, 2025
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/s/ Robert W. Hernquist
/s/
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ROBERT W. HERNQUIST
HOWARD & HOWARD
ROB L. PHILLIPS
FISHERBROYLES, LLP
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Attorneys for Defendants and
Counterclamaints
Attorneys for Plaintiffs and
Counter-Defendants
FISHERBROYLES, LLP
5670 Wilshire Blvd., Suite 1800
Los Angeles, CA 90036
Telephone: (702) 518-1239
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Rob L. Phillips
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ORDER
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This Court, having reviewed and considered the Stipulation by the parties, and Good Cause
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appearing therefore, the current scheduling conference date of January 14, 2025 and trial date of
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January 27, 2025 are both vacated and the new scheduling conference date and new trial date are
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set forth as follows: The new trial date is May 19, 2025 at 9:00 a.m. and the new calendar call
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date is May 13, 2025 at 9:00 a.m. The new scheduling conference date is April 29, 2025 at 9:00
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a.m. All in Courtroom 6C.
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IT IS SO ORDERED.
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DATED this 7th day of January, 2025.
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_________________________________________
UNITED STATES JUDGE
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