Schorr v. Wolf Principal Holdings, LP et al

Filing 37

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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1 2 3 4 5 6 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 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 SETH SCHORR, Plaintiff, 10 LEE, LANDRUM & INGLE 7575 VEGAS DRIVE, SUITE 150 LAS VEGAS, NV 89128 (702) 880-9750 11 12 13 14 15 16 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 17 18 IT IS STIPULATED AND AGREED, by and between Plaintiff Seth Schorr, by and through 19 his attorney of record, Nia Killebrew, Esq. of Richard Harris Law Harris Law Firm; Defendant 20 Wolff Principal Holdings, LP d/b/a Fremont & 9th Apartments, by and through its attorney of 21 record, David S. Lee, Esq. of Lee, Landrum & Ingle, and Defendant Schindler Elevator 22 Corporation, by and through its attorney of record, Jay J. Schuttert of Evans Fears Schuttert 23 McNulty Mickus that the deadlines for Defendants’ Initial Expert Disclosure and Rebuttal Expert 24 Disclosures be extended one week from their current due dates. 25 The parties have been working diligently to complete discovery in this case. The parties 26 are currently in the process of disclosing expert witnesses. Plaintiff served his initial expert 27 disclosure on July 29, 2024. The Defendants’ initial expert disclosures were due to be served on 28 August 26, 2024. Rebuttal Expert disclosures are due on September 24, 2024. Page 1 of 4 LEE, LANDRUM & INGLE 7575 VEGAS DRIVE, SUITE 150 LAS VEGAS, NV 89128 (702) 880-9750 1 Defendant Wolff Principal Holdings LP d/b/a Fremont & 9th Apartments (“Wolff”) is 2 seeking a one-week extension to serve its initial expert disclosure, seeking a new disclosure date of 3 September 3, 2024. Defendant Schindler Elevator Corporation (“Schindler”) agrees to Defendant 4 Wolff’s request for a one-week extension, if the same extension is provided to Schindler. Plaintiff 5 has agreed to the one-week extension of time for both Defendants to serve their initial expert 6 disclosures, in exchange for a one-week extension of time to serve Rebuttal Expert Disclosures. 7 The new, agreed upon due date for Rebuttal Expert Disclosures will be October 1, 2024. 8 Defendants Wolff and Schindler agree to the extension of time for Rebuttal Expert Disclosures and 9 the new disclosure date. 10 I. 11 The parties hereby stipulate to extend the following two (2) disclosure deadlines and 12 PROPOSED REVISED DISCLOSURE DATES propose the following amendments to the current discovery deadlines: 13 Old Deadline New Deadline September 3, 2024 14 Defendant’s initial expert disclosures: August 26, 2024 15 Rebuttal expert disclosures: September 24, 2024 October 1, 2024 16 No trial date has been set. 17 18 19 SUBMITTED BY THE FOLLOWING COUNSEL OF RECORD: Dated: August 26, 2024. 20 21 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 22 23 24 25 26 27 28 Page 2 of 4 1 LEE, LANDRUM & INGLE 2 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 3 4 5 6 7 ORDER 8 9 10 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 11 12 Old Deadline New Deadline September 3, 2024 13 Defendant’s initial expert disclosures: August 26, 2024 14 Rebuttal expert disclosures: September 24, 2024 October 1, 2024 15 16 17 _____________________________________ Hon. Maximiliano D. Couvillier III UNITED STATES MAGISTRATE JUDGE DATED:8/27/24 Case No. 2:22-cv-01806-MMD-MDC 18 19 20 21 22 Respectfully submitted by: 23 LEE, LANDRUM & INGLE 24 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 25 26 27 28 Page 3 of 4

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