Carra Otto vs Midwestern, LLC, et al

Filing 175

ORDER granting ECF No. 173 Stipulation : Responses to ECF No. 165 , 166 , 167 Motions due by 8/6/2019. Replies due by 8/27/2019. Signed by Judge Miranda M. Du on 7/31/2019. (Copies have been distributed pursuant to the NEF - DRM)

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1 2 3 4 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 STIPULATION FOR EXTENSION OF TIME TO FILE OPPOSITIONS AND REPLIES (SECOND 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 as 19 the Administratrix of the Estate of RICHARD OTTO and Defendants REFACCIONES NEUMATICAS 20 LA PAZ, S.A. DE C.V. (Hereinafter RNP) and MIDWESTERN, LLC, by and through their respective 21 counsels and hereby stipulate the following: 22 Currently before the Court are the following: Defendant RNP’s Motion for Summary Judgment filed 23 May 30, 2019 (ECF # 165); Defendant RNP’s Motion to Exclude Quent Augspurger’s Expert Opinions 24 and Testimony filed May 31, 2019 (#166); and Defendant Mid-Western, LLC’s Motion for Summary 25 Judgment filed May 31, 2019 (ECF #167). 26 A stipulation was filed on June 14, 2019 (ECF $168) which gave Plaintiffs until Tuesday, July 30, 27 2019 in which to file their oppositions. 28 LAW OFFICE OF BRADLEY, DRENDEL & JEANNEY P.O. BOX 1987 RENO, NV 89505 (775) 335-9999 -1Our File No. 202527 1 Plaintiffs have been working diligently on the three oppositions. Unfortunately, Plaintiff’s counsel 2 had a family emergency and had to leave the State. The parties have agreed that Plaintiffs may have until 3 Tuesday, August 6, 2019 in which to file her Replies to all the above motions, i.e. 165, 166 and 167 4 Defendants shall have until August 27, 2019 in which to file their Replies. 5 6 Dated this 29th day of July 2019. Dated this 29th day of July 2019. BRADLEY, DRENDEL & JEANNEY GLOGOVAC & PINTAR 7 8 9 10 /s/ William C. Jeanney William C. Jeanney, Esq. Attorneys for Plaintiffs /s/ Michael Pintar Michael Pintar, Esq. Attorneys for Defendant RNP 11 12 Dated this 29th day of July 2019. It is so ordered. 13 14 Dated this 31st day of July, 2019. THORNDAL, BALKENBUSH & EISINGER 15 16 17 _______________________________ MIRANDA M. DU UNITED STATES DISTRICT JUDGE /s/ Stephen C. Balkenbush Stephen C. Balkenbush, Esq. Attorneys for Defendant Midwestern, LLC 18 19 20 21 22 23 24 25 26 27 28 LAW OFFICE OF BRADLEY, DRENDEL & JEANNEY P.O. BOX 1987 RENO, NV 89505 (775) 335-9999 -2Our File No. 202527

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