Carra Otto vs Midwestern, LLC, et al

Filing 171

ORDER approving ECF No. 170 Stipulation re ECF No. 165 Motion for Summary Judgment, ECF No. 166 Motion Exclude Quent Augspurger's Expert Opinions and Testimony, and ECF No. 167 Motion for Summary Judgment. Responses due by 7/30/2019. Replies due by 8/20/2019. Signed by Judge Miranda M. Du on 6/17/2019. (Copies have been distributed pursuant to the NEF - KR)

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1 2 3 4 William C. Jeanney, Esq. Nevada State Bar No. 01235 BRADLEY, DRENDEL & JEANNEY P.O. Box 1987 Reno, NV 89505 Telephone No. (775) 335-9999 Facsimile No. (775) 335-9993 Attorney for Plaintiffs 5 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 9 CARRA OTTO, as the surviving spouse of RICHARD OTTO; and CARRA OTTO as the Administratrix of the Estate of RICHARD OTTO, Case No. 3:16-CV-00451-MMD-WGC ORDER RE: 10 ERRATA TO STIPULATION FOR EXTENSION OF TIME TO FILE OPPOSITIONS AND REPLIES (First Request) Plaintiffs, 11 v. 12 13 14 REFACCIONES NEUMATICAS LA PAZ, S.A. DE C.V.; MIDWESTERN, LLC; ABC CORPORATIONS I-X, inclusive; BLACK AND WHITE COMPANIES I-X, inclusive, and JOHN DOES I-X, inclusive, 15 Defendants. 16 17 / AND RELATED ACTIONS / 18 COMES NOW Plaintiff CARRA OTTO, as the surviving spouse of RICHARD OTTO and 19 as the Administratrix of the Estate of RICHARD OTTO and Defendants REFACCIONES 20 NEUMATICAS LA PAZ, S.A. DE C.V. (Hereinafter RNP) and MIDWESTERN, LLC, by and 21 through their respective counsels and hereby stipulate the following: 22 Currently before the Court are the following: Defendant RNP’s Motion for Summary 23 Judgment filed May 30, 2019 (ECF #165); Defendant RNP’s Motion to Exclude Quent Augspurger’s 24 Expert Opinions and Testimony filed May 31, 2019 (#166); and Defendant Mid-Western, LLC’s 25 Motion for Summary Judgment filed May 31, 2019 (ECF #167). Said Opposition to #165 is 26 currently due Thursday, June 20, 2019, opposition to #166 is due today, June 14, 2019 and said 27 opposition to #167 is due Friday, June 21, 2019. 28 LAW OFFICE OF BRADLEY, DRENDEL & JEANNEY P.O. BOX 1987 RENO, NV 89505 (775) 335-9999 -1Our File No. 202527 1 Plaintiffs’ counsel just finished a two week trial in Carson City, Angel v. Brabender, et al., 2 First Judicial Court Case Number 17- TRT 00049 1B on June 6, 2019 and immediately had to start 3 preparing for expert depositions out of State in a Complex Products Liability case that is scheduled 4 for a four week trial to begin on August 4, 2019, Robinson v. Crown, et al., Second Judicial District 5 Court Case no. CV17-02384. Plaintiffs’ counsel is currently in Portland, Oregon for one of these 6 depositions and will be traveling to Dayton, Ohio on June 25th for another deposition and Memphis, 7 Tennessee immediately from Dayton, Ohio and arriving back in Reno on June 28, 2019. In addition, 8 Plaintiff’s counsel has depositions in two other cases scheduled for Monday June 17, 2019 in Las 9 Vegas Nevada and on June 20, 2019 here in Reno, Nevada. 10 In addition, Plaintiffs’ counsel has been served with one Motion for Summary Judgment in 11 the Robinson v. Crown case that is due on Monday, June 24, 2019 and an Ex Parte Motion to file a 12 Motion for Summary Judgment today, June 14, 2019 in which they were seeking leave from the 13 court for the Motion to be in excess of 15 pages. The deadline for filing said Motion for Summary 14 Judgment is today and Plaintiff’s opposition shall be due July 12, 2019. Finally, the Motions in 15 Limine are due shortly in the Robinson v. Crown case and there is a Stipulation regarding the 16 briefing deadlines that has been filed with the Court which states the Motions for Summary 17 Judgment are to be filed today, June 14, 2019, any oppositions to the same are to be filed Friday, 18 June 28, 2019 and any replies to the same are to be filed by July 5, 2019. With regard to the Motions 19 in Limine, they are to be filed on June 28, 2019, oppositions are to be filed on July 12, 2019 and 20 Replies are due on or before July 19, 2019. 21 22 Finally, Plaintiffs’ counsel has an Applleant Reply Brief due to the Nevada Supreme Court on July 17, 2019. 23 24 This is the first request for an extension of time regarding ECF documents #165, #166, and #167 25 Due to the above foregoing, Defense counsel for all parties have agreed to grant Plaintiffs 26 an extension of time to file all three oppositions to #165, #166, and #167 on or before Tuesday, July 27 30, 2019. 28 LAW OFFICE OF BRADLEY, DRENDEL & JEANNEY P.O. BOX 1987 RENO, NV 89505 (775) 335-9999 Plaintiffs have agreed that Defendants shall have until August 20, 2019 in which to file their -2Our File No. 202527

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