Knaack v. Knight Transportation, Inc.
Filing
230
ORDER granting ECF No. 229 Motion to Extend Time To File Dismissal And To Complete Settlement (First Request). Stipulation for Dismissal due by 7/12/2019. Signed by Judge Larry R. Hicks on 6/24/2019. (Copies have been distributed pursuant to the NEF - LH)
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 1 of 10
1 Joel D. Odou
Nevada Bar No. 7468
2 jodou@wshblaw.com
Analise N. M. Tilton
3 Nevada Bar No. 13185
atilton@wshblaw.com
4 Christina M. Mamer
Nevada Bar No. 13181
5 cmamer@wshblaw.com
Wood, Smith, Henning & Berman LLP
6 2881 Business Park Court, Suite 200
Las Vegas, NV 89128-9020
7 Telephone: 702 251 4100
Facsimile: 702 251 5405
8
Kevin D. Smith
9 California Bar No. 113633 (pro hac vice)
ksmith@wshblaw.com
10 Wood, Smith, Henning & Berman LLP
501 West Broadway, Suite 1200
11 San Diego, California 92101
Telephone: 619-849-4900
12 Facsimile: 619-849-4950
13 Theodore Parker, III
Nevada Bar No. 4716
14 tparker@pnalaw.net
Parker, Nelson & Associates, Chtd.
15 2460 Professional Court, Suite 200
Las Vegas, NV 89128
16 Telephone: 702-868-8000
Facsimile: 702-868-8001
17
Attorneys for Defendants, Knight Transportation,
18 Inc., Knight Refrigerated, LLC, Knight-Swift
Transportation Holdings, Inc. and Carol Walker
19
UNITED STATES DISTRICT COURT
20
DISTRICT OF NEVADA, NORTHERN DIVISION
21
TERRI KNAACK, individually, and as
Case No. 3:17-cv-00172-LRH-WGC
22 Administrator of the Estate of Joseph Knaack,
deceased, ANDREW KNAACK,
DEFENDANTS' MOTION FOR
23
EXTENSION OF TIME TO FILE
Plaintiffs,
DISMISSAL AND TO COMPLETE
24
SETTLEMENT
v.
25
(FIRST REQUEST)
KNIGHT TRANSPORTATION, INC.;
26 KNIGHT REFRIGERATED, LLC; KNIGHTThe Hon. Larry R. Hicks
SWIFT TRANSPORTATION HOLDINGS,
27 INC.; CAROL WALKER,
AND ORDER THEREON
28
Defendants.
LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 2 of 10
1
Defendants, KNIGHT TRANSPORTATION, INC., KNIGHT REFRIGERATED, LLC,
2 KNIGHT-SWIFT TRANSPORTATION HOLDINGS, INC. and CAROL WALKER, hereby move
3 this Court for an extension of time to July 12, 2019, to complete the settlement and file the dismissal
4 in the above-entitled action.
5
This motion is made and based upon the pleadings and papers on file, and the memorandum of
6 points and authorities herein.
7 DATED: June 20, 2019
WOOD, SMITH, HENNING & BERMAN LLP
8
/s/ Joel D. Odou
9
By:
JOEL D. ODOU
ANALISE N. M. TILTON
CHRISTINA M. MAMER
KEVIN D. SMITH
Attorneys for Defendants, Knight Transportation, Inc.,
Knight Refrigerated, LLC, Knight-Swift Transportation
Holdings, Inc. and Carol Walker
11
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-2DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 3 of 10
1
DECLARATION OF JOEL D. ODOU
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I, Joel D. Odou, declare as follows:
3
1.
I am an attorney at law duly admitted to practice before the Courts of the State of
4 Nevada. I am a Partner with WOOD, SMITH, HENNING & BERMAN LLP, one of the attorneys of
5 record for Defendants, KNIGHT TRANSPORTATION, INC., KNIGHT REFRIGERATED, LLC,
6 KNIGHT-SWIFT TRANSPORTATION HOLDINGS, INC. and CAROL WALKER (hereinafter
7 "Defendants"). I know the following facts to be true of my own knowledge, and if called to testify, I
8 could competently do so.
9
2.
Defendants are seeking an extension of time to allow for the full funding of the
11
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
10 settlements and so that the settlement drafts may clear prior to the filing of the dismissal in this matter.
3.
As reported by the parties, settlements were reached with both Plaintiffs for
12 confidential amounts. The settlement with Plaintiff, Terri Knaack was reached by insurance retained
13 co-counsel for Defendants, Teddy Parker, on Sunday, May 12, 2019. The settlement amount is
14 confidential, but was in excess of self-insured retentions of the Defendants.
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4.
My firm was directly retained by the Knight Defendants under that self-insured
16 retention, which deducts defense costs incurred in this litigation from its limits.
17
5.
As part of the settlement, an accounting of all costs incurred in this case was performed
18 to determine the amount of erosion of that self-insured retention, with the balance of that self-insured
19 retention to be paid to settle this claim along with payments from participating insurance carriers.
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6.
Ultimately, some of these payments are being collected from carriers participating
21 through the London Insurance Market.
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7.
Accordingly, arrangements have been made by the lead carrier to collect all of the
23 overseas settlement funds and have them transferred via international wire to my law firm's trust
24 account.
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8.
The settlement agreement was finalized by the Parties on May 24, 2019.
26
9.
The settlement agreement was signed by Plaintiffs on May 29, 2019.
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10.
The settlement agreement was provided to Defendants on June 14, 2019.
28 / / /
LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-3DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 4 of 10
1
11.
My clients have followed-up extensively with the carriers to make the final
2 arrangements for payment of the settlement, and as of the date of this Declaration, it appears that some
3 funds will arrive via international wire transfer to my law firm's trust account in the next ten (10)
4 business days. Upon receipt, my firm's bank requires the funds to be held for twenty-four (24) hours,
5 and then they can be issued to Plaintiffs' counsel via wire transfer or settlement draft at their
6 convenience.
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12.
On May 23, 2019, Plaintiffs' counsel notified this Court of the settlement of the
8 remaining claims in this case held by Plaintiff, Andrew Knaack (Doc. 227).
9
13.
On May 23, 2019, this Court issued a Minute Order (Doc. 228) that vacated the trial set
11 Dismissal within (30) days which is Monday, June 24, 2019 [The thirty-day deadline falls on a
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
10 to commence on May 28, 2019 and Ordered the parties to file a Stipulation and Proposed Order of
12 Saturday, June 22, 2019. Pursuant to FRCP Rule 6(a)(1)(c), the deadline therefore is Monday, June
13 24, 2019].
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14.
As of today's date, I have been advised that the separate settlement drafts for Andrew
15 Knaack and partial payments of the settlement for Plaintiff, Terri Knaack have been tendered through
16 co-counsel's office. Additional settlement drafts are expected this week but even if provided on
17 Friday, the funds will take several days to clear and be available for distribution due to the amounts
18 involved.
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15.
This Declaration is being made in support of Defendants' Motion for Extension of Time
20 to File Dismissal and to Complete Settlement (First Request) based upon the fact that through no fault
21 of Defendants, some of the settlement funds due in this matter are coming from overseas.
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16.
As soon as the funds are wired and are available, Defendants will fund the remaining
23 portion of the settlement, however, as of the date of this request, it appears these funds will arrive
24 AFTER the current deadline of June 24, 2019.
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17.
As such, Defendants respectfully request that this deadline be extended to Friday, July
26 12, 2019, so that the funds will clear both the trust account of Defendants' and Plaintiffs' counsel.
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-4DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 5 of 10
1
18.
Defendants therefore request that the new deadline be extended to July 12, 2019.
2
19.
On June 19, 2019, I requested Plaintiffs stipulate to this request but could not secure a
3 complete agreement, but Plaintiffs did request enough time for funds to clear before the Stipulation for
4 Dismissal is filed.
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20.
This Declaration is being made in good faith and not for the purposes of delay.
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I declare under penalty of perjury under the laws of the United States of America that the
7 foregoing is true and correct.
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Executed June 20, 2019, at Las Vegas, Nevada.
9
/s/ Joel D. Odou
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Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
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JOEL D. ODOU
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-5DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 6 of 10
1
MEMORANDUM OF POINTS AND AUTHORITIES
2 I.
PROCEDURAL HISTORY
3
As the Court is aware, this is a wrongful death action arising from a motor vehicle accident
4 that occurred on September 28, 2016 in Lund, Nevada. The litigation was commenced on March 21,
5 2017. The case has been completely settled, and the Defendants are seeking an extension of time in
6 order to have the settlement funds clear and the dismissal filed in this matter.
7
As reported by the parties, settlements were reached with both Plaintiffs for confidential
8 amounts. The settlement with Plaintiff Terri Knaack was reached by insurance retained co-counsel for
9 Defendants, Teddy Parker, on Sunday May 12, 2019. The settlement amount is confidential, but was
11 costs incurred in this case was performed to determine the amount of erosion of that self-insured
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
10 in excess of self-insured retentions of the Defendants. As part of this settlement, an accounting of all
12 retention, with the balance of that self-insured retention to be paid to settle this claim, along with
13 payments from other participating insurance carriers. Ultimately, these payments are being collected
14 from carriers participating through the London Insurance Market, and arrangements have been made
15 by the lead carrier to collect all of the overseas settlement funds and have them transmitted to Nevada
16 via international wire transfer.
17
On May 23, 2019, Plaintiffs' counsel notified this Court of the settlement of the remaining
18 claims in this case held by Plaintiff, Andrew Knaack (Doc. 227).
19
On May 23, 2019, this Court issued a Minute Order (Doc. 228) that vacated the trial set to
20 commence on May 28, 2019 and Ordered the parties to file a Stipulation and Proposed Order of
21 Dismissal within (30) days which is Monday, June 24, 2019 [The thirty-day deadline falls on a
22 Saturday, June 22, 2019. Pursuant to FRCP Rule 6 (a)(1)(C), the deadline therefore is Monday, June
23 24, 2019].
24
The settlement agreement was finalized by the Parties on May 24, 2019.
25
The settlement agreement was signed by Plaintiff on May 29, 2019.
26
The settlement agreement was provided to Defendants on June 14, 2019.
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-6DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 7 of 10
1
As of today's date, the settlement funds are being collected, and the funds for the settlement for
2 Andrew Knaack will be paid by way of a settlement draft from an insurance carrier for Defendants
3 shortly. Partial Payments for the settlement for Terri Knaack have been tendered and it is expected
4 that additional settlement checks will be received in the next two business days.
5
Defendants seek an extension of time to file the Dismissal and complete the settlement as the
6 remaining funds are coming from overseas. As soon as the funds are wired and are available,
7 Defendants will fund the remaining portion of the settlement, however, as of the date of this request, it
8 appears these funds will arrive AFTER the current deadline of June 24, 2019.
9
As such, Defendants respectfully request that this deadline be extended so that the funds will
11 may be timely filed.
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
10 clear both the trust accounts of Defendants' and Plaintiffs' counsel and the Stipulation for Dismissal
12
Defendants therefore request that the new deadline be extended to July 12, 2019, as there are
13 large settlement drafts and wires being provided that may take additional time to clear due to Bank
14 procedures.
15 II.
LEGAL ANALYSIS
16
FED. R. CIV. P. 6(b) provides:
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1) In General. When an act may or must be done within a specified time,
the court may, for good cause, extend the time:
(A) with or without motion or notice if the court acts, or if a request is
made, before the original time or its extension expires; or
(B) on motion made after the time has expired if the party failed to act
because of excusable neglect.
(2) Exceptions. A court must not extend the time to act under Rules 50(b)
and (d), 52(b), 59(b), (d) and (e), and 60(b).
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LR IA 6-1 provides in pertinent part:
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(a) A motion or stipulation to extend time must state the reasons for the
extension requested and must inform the court of all previous extensions of
the subject deadline the court granted. . . . A request made after the
expiration of the specified period will not be granted unless the movant or
attorney demonstrates that the failure to file the motion before the deadline
expired was the result of excusable neglect. Immediately below the title of
the motion or stipulation there also must be a statement indicating whether
it is the first, second, third, etc., requested extension. . . .
(b) The court may set aside any extension obtained in contravention of this
rule.
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-7DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 8 of 10
1
Rule 6(b)(1)(B) allows for a party, with good cause, to move for an enlargement of time, the
2 determination of which lies with the presiding Court. "[T]he court has inherent power and discretion
3 to control its docket, and the proceedings within the cases on its docket." Ford v. County of Missoula,
4 Mont., 2010 WL 2674036, *1 (D. Mont. 2010) (citing Landis v. North American Co., 299 U.S. 248,
5 254 (1936)); see also Fed. R. Civ. P. 6(b) (advisory committee note, 1946) ("Rule 6(b) is a rule of
6 general application giving wide discretion to the court to enlarge these limits or revive them after they
7 have expired . . .").
8
Defendants are requesting an enlargement of time or extension of time to fund the settlement
9 and have the dismissal filed before the deadline has expired. Defendants are making this request
11 an accounting was necessary to determine the settlement amounts due from the various insurance
Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
10 based upon good cause as the settlement exceeded the monetary limit of its self-insured retention and
12 carriers after the payment of defense costs exhausted underlying limits. These carrier(s) are outside of
13 the State of Nevada and the United States, which necessitates an International wire transfer to avoid
14 delays. At present, it has been represented to Defendants by these parties outside of their control that
15 these funds will be made available to Plaintiffs within ten (10) business days, but this may potentially
16 occur after the deadline set by this Court to have the proposed Stipulation for Dismissal on file, which
17 is currently June 24, 2019. As such, Defendants respectfully request that this date be extended to July
18 12, 2019, as settlement drafts are currently arriving, but with the July 4th holiday Defendants want to
19 make sure that enough time is provided for the funds to clear as the Plaintiffs want to provide the
20 dismissal after the same.
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-8DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
Case 3:17-cv-00172-LRH-WGC Document 229 Filed 06/20/19 Page 9 of 10
1 III.
CONCLUSION
2
Based upon the foregoing, Defendants, KNIGHT TRANSPORTATION, INC., KNIGHT
3 REFRIGERATED, LLC, KNIGHT-SWIFT TRANSPORTATION HOLDINGS, INC. and CAROL
4 WALKER request an extension of up to July 12, 2019, to file the proposed Stipulation for Dismissal
5 with this Court. This request is being made in good faith and not for the purpose of delay.
6 DATED: June 20, 2019
WOOD, SMITH, HENNING & BERMAN LLP
7
/s/ Joel D. Odou
8
By:
JOEL D. ODOU
ANALISE N. M. TILTON
CHRISTINA M. MAMER
Attorneys for Defendants, Knight Transportation, Inc.,
Knight Refrigerated, LLC, Knight-Swift Transportation
Holdings, Inc. and Carol Walker
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Attorneys at Law
2881 BUSINESS PARK COURT, SUITE 200
LAS VEGAS, NEVADA 89128-9020
TELEPHONE 702 251 4100 ♦ FAX 702 251 5405
WOOD, SMITH, HENNING & BERMAN LLP
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IT IS SO ORDERED.
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DATED this 24th day of June, 2019.
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UNITED STATES MAGISTRATE JUDGE
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DATED:
____________________________________
LARRY R. HICKS
UNITED STATES DISTRICT JUDGE
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LEGAL:10092-0015/11945907.1
Case No. 3:17-cv-00172-LRH-WGC
-9DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DISMISSAL
AND TO COMPLETE SETTLEMENT
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