Argent Preparatory Academy f/k/a Silver State Charter Schools v. Philadelphia Indemnity Insurance Company

Filing 28

ORDER granting ECF No. 27 Stipulation to Extend the Date for Philadelphia Indemnity Insurance to file its Reply to ECF No. 19 Motion for Summary Judgment. Reply due by 10/8/2018. Signed by Judge Miranda M. Du on 9/26/2018. (Copies have been distributed pursuant to the NEF - KW) Modified on 9/27/2018 to correct filed date (KW).

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1 2 3 4 5 Amy M. Samberg, Esq. Nevada Bar No. 10212 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC Two Renaissance Tower One North Central Avenue, 18th Floor Phoenix, AZ 85004 Telephone: (602) 777-6230 Facsimile: (312) 863-5099 Email: asamberg@fgppr.com 6 7 8 2200 Pas eo Verde Parkway, Suite 280 Henders on, Nevada 89052 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 9 10 Casey G. Perkins, Esq. Nevada Bar No 12063 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 2200 Paseo Verde Parkway, Suite 280 Henderson, NV 89052 Telephone: (702) 827-1510 Facsimile: (312) 863-5099 Email: cperkins@fgppr.com 11 12 Attorneys for Philadelphia Indemnity Insurance Company 13 UNITED STATES DISTRICT COURT 14 DISTRICT OF NEVADA 15 16 17 ARGENT PREPARATORY ACADEMY f/k/a/ SILVER STATE CHARTER SCHOOLS Plaintiffs, 18 19 20 21 22 vs. PHILADELPHIA INDEMNITY INSURANCE COMPANY, a Pennsylvania insurance business corporation; and DOES I through XX, Defendants. Case No. 3:18-cv-00134-AMMD-WGC STIPULATION AND ORDER TO EXTEND THE DATE FOR PHILADELPHIA INDEMNITY INSURANCE TO FILE ITS REPLY IN SUPPORT OF ITS COUNTERMOTION FOR SUMMARY JUDGMENT (FIRST REQUEST) 23 IT IS HEREBY STIPULATED AND AGREED between Plaintiff Argent Preparatory 24 Academy f/k/a Silver State Charter Schools and Defendant Philadelphia Indemnity Insurance 25 Company, by and through the parties’ respective counsel, pending the Court’s approval, that the 26 date for Defendant to file its Reply in Support of its Countermotion for Summary Judgment (ECF 27 No. 19) to October 8, 2018. 28 1 Pending the Court’s approval, counsel for Plaintiff’s has graciously agreed to a 1-week 2 extension, from the current deadline of October 1, 2018 to October 8, 2018. The Countermotion 3 was filed on August 20, 2018 and Plaintiff’s Opposition (ECF No. 26) was filed on September 17, 4 2018. This request is the first request for an extension of the subject deadline, and is made 5 primarily in light of defense counsel’s extensive travel schedule between September 17, 2018 and 6 October 1, 2018, including travel related to deposition discovery in other matters pending in this 7 District and will ensure sufficient time for Philadelphia to fully address the issues raised in 8 Plaintiff’s Opposition. 2200 Pas eo Verde Parkway, Suite 280 Henders on, Nevada 89052 FORAN GLENNON PALANDECH PONZI & RUDLOFF PC 9 The parties respectfully request that this Court approve the foregoing stipulation. 10 11 12 DATED: September 26, 2018 DATED: September 26, 2018 HOLLY DRIGGS WALCH FINE WRAY FORAN GLENNON PALANDECH PONZI PUZEY & THOMPSON & RUDLOFF PC 13 17 By: __/s/ Michael R. Ayers, Esq.______ Richard F. Holley, Esq. Clark V. Vellis, Esq. F. Thomas Edwards, Esq. Michael R. Ayers, Esq. 800 S. Meadows Parkway Reno, NV 89521 18 Attorneys for Plaintiff 14 15 16 By: _/s/ Casey G. Perkins, Esq._______ Amy M. Samberg, Esq. Two North Central Avenue, 18th Floor Phoenix, AZ 85004 Casey G. Perkins, Esq. 2200 Paseo Verde Parkway, Ste. 280 Henderson, NV 89052 Attorneys for Defendant 19 20 ORDER 21 22 IT IS SO ORDERED. 23 24 DATED this 26th day of September 2018. ____ 25 ________________________________ UNITED STATES DISTRICT JUDGE 26 27 28 -2-

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