Schorr v. Wolf Principal Holdings, LP et al
Filing
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ORDER Granting 36 Stipulation for Extension of Time. Based upon the foregoing stipulation, the request to extend the following two (2) disclosure deadlines is granted as follows: See Order for additional information. Signed by Magistrate Judge Maximiliano D. Couvillier, III on 8/27/2024. (Copies have been distributed pursuant to the NEF - RJDG)
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DAVID S. LEE, ESQ.
Nevada Bar No.: 6033
LEE, LANDRUM & INGLE
7575 Vegas Drive, Suite 150
Las Vegas, Nevada 89128
Phone: (702) 880-9750
Fax: (702) 314-1210
dlee@lee-lawfirm.com
Attorneys for WOLFF PRINCIPAL HOLDINGS, LP
dba FREMONT & 9TH APARTMENTS
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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SETH SCHORR,
Plaintiff,
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LEE, LANDRUM & INGLE
7575 VEGAS DRIVE, SUITE 150
LAS VEGAS, NV 89128
(702) 880-9750
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CASE NO.: 2:22-CV-01806-MMD-MDC
v.
WOLFF PRINCIPAL HOLDINGS, LP dba
FREMONT & 9th APARTMENTS;
SCHEINDLER ELEVATOR
CORPORATION; DOES I through X; and
ROE BUSINESS ENTITIES I through X,
inclusive,
JOINT STIPULATION AND ORDER TO
EXTEND DEADLINES FOR
DEFENDANTS’ INITIAL EXPERT
DISCLOSURES AND REBUTTAL EXPER
DISCLOSURES
Defendants.
and related cross-claims
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IT IS STIPULATED AND AGREED, by and between Plaintiff Seth Schorr, by and through
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his attorney of record, Nia Killebrew, Esq. of Richard Harris Law Harris Law Firm; Defendant
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Wolff Principal Holdings, LP d/b/a Fremont & 9th Apartments, by and through its attorney of
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record, David S. Lee, Esq. of Lee, Landrum & Ingle, and Defendant Schindler Elevator
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Corporation, by and through its attorney of record, Jay J. Schuttert of Evans Fears Schuttert
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McNulty Mickus that the deadlines for Defendants’ Initial Expert Disclosure and Rebuttal Expert
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Disclosures be extended one week from their current due dates.
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The parties have been working diligently to complete discovery in this case. The parties
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are currently in the process of disclosing expert witnesses. Plaintiff served his initial expert
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disclosure on July 29, 2024. The Defendants’ initial expert disclosures were due to be served on
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August 26, 2024. Rebuttal Expert disclosures are due on September 24, 2024.
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LEE, LANDRUM & INGLE
7575 VEGAS DRIVE, SUITE 150
LAS VEGAS, NV 89128
(702) 880-9750
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Defendant Wolff Principal Holdings LP d/b/a Fremont & 9th Apartments (“Wolff”) is
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seeking a one-week extension to serve its initial expert disclosure, seeking a new disclosure date of
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September 3, 2024. Defendant Schindler Elevator Corporation (“Schindler”) agrees to Defendant
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Wolff’s request for a one-week extension, if the same extension is provided to Schindler. Plaintiff
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has agreed to the one-week extension of time for both Defendants to serve their initial expert
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disclosures, in exchange for a one-week extension of time to serve Rebuttal Expert Disclosures.
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The new, agreed upon due date for Rebuttal Expert Disclosures will be October 1, 2024.
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Defendants Wolff and Schindler agree to the extension of time for Rebuttal Expert Disclosures and
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the new disclosure date.
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I.
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The parties hereby stipulate to extend the following two (2) disclosure deadlines and
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PROPOSED REVISED DISCLOSURE DATES
propose the following amendments to the current discovery deadlines:
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Old Deadline
New Deadline
September 3, 2024
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Defendant’s initial expert disclosures:
August 26, 2024
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Rebuttal expert disclosures:
September 24, 2024 October 1, 2024
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No trial date has been set.
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SUBMITTED BY THE FOLLOWING COUNSEL OF RECORD:
Dated: August 26, 2024.
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EVANS FEARS SCHUTTERT
MCNULTY MICKUS
RICHARD HARRIS LAW FIRM
Jay J. Schuttert
Jay J. Schuttert, Esq. (SBN 8656)
Skylar Arakawa-Pamphilon, Esq.
(SBN 15864)
6720 Via Austi Parkway, Suite 300
Las Vegas, NV 89119
Attorneys for Defendant/Cross-Defendant
Schindler Elevator Corporation
Nia C. Killbrew
Nia C. Killebrew, Esq. (SBN 4553)
801 South Fourth Street
Las Vegas, NV 89101
Attorneys for Plaintiff Seth Schorr
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LEE, LANDRUM & INGLE
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David S. Lee___________________
David S. Lee, Esq. (SBN 6033)
7575 Vegas Drive, Suite 150
Las Vegas, NV 89128
Attorneys for Defendant Wolff Principal
Holdings, LP dba Fremont & 9th Apartments
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ORDER
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IT IS SO ORDERED. Based upon the foregoing stipulation, the request to extend the
following two (2) disclosure deadlines is granted as follows:
LEE, LANDRUM & INGLE
7575 VEGAS DRIVE, SUITE 150
LAS VEGAS, NV 89128
(702) 880-9750
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Old Deadline
New Deadline
September 3, 2024
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Defendant’s initial expert disclosures:
August 26, 2024
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Rebuttal expert disclosures:
September 24, 2024 October 1, 2024
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_____________________________________
Hon. Maximiliano D. Couvillier III
UNITED STATES MAGISTRATE JUDGE
DATED:8/27/24
Case No. 2:22-cv-01806-MMD-MDC
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Respectfully submitted by:
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LEE, LANDRUM & INGLE
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David S. Lee___________________
David S. Lee, Esq. (SBN 6033)
7575 Vegas Drive, Suite 150
Las Vegas, NV 89128
Attorneys for Defendant Wolff Principal Holdings, LP dba Fremont & 9th Apartments
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