Pisarski v. State Farm Mutual Automobile Insurance Company
Filing
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ORDER granting 28 STIPULATION FOR EXTENSION OF TIME re ECF 27 . Responses due by 11/15/2024. Signed by Magistrate Judge Carla Baldwin on 10/29/2024. (Copies have been distributed pursuant to the NEF - GA)
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JAMES E. HARPER
Nevada Bar No. 9822
SABRINA G. WIBICKI
Nevada Bar No. 10669
HARPER | SELIM
1935 Village Center Circle
Las Vegas, Nevada 89134
Phone: (702) 948-9240
Fax: (702) 778-6600
Email: eservice@harperselim.com
Attorneys for Defendant
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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ANNA PISARSKI,
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vs.
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STATE FARM MUTUAL AUTOMOBILE
INSURANCE COMPANY, ABC
CORPORATIONS I-X, inclusive; BLACK &
WHITE COMPANIES I-X, inclusive; and
JOHN DOES I-X, inclusive,
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ORDER GRANTING STIPULATION
TO EXTEND TIME FOR DEFENDANT
TO FILE OPPOSITION TO
PLAINTIFF’S MOTION TO EXTEND
ALL DISCOVERY DEADLINES BY 90
DAYS
Plaintiff,
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CASE NO.: 3:24-cv-00080-ART-CLB
Defendants.
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Plaintiff, ANNA PISARSKI (“Plaintiff”), by and through her attorneys of record,
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COULTER HARSH LAW, and Defendant, STATE FARM MUTUAL AUTOMOBILE
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INSURANCE COMPANY (“Defendant”), by and through its attorneys of record, HARPER |
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SELIM, (collectively, “the Parties”) submit the following Stipulation and proposed Order to Extend
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Time for Defendant to File Opposition to Plaintiff’s Motion to Extend All Discovery Deadlines by
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90 Days.
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On October 29, 2024, counsel engaged in a telephonic meet-and-confer to discuss Plaintiff’s
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motion and the remaining discovery. Plaintiff is in the process of re-evaluating her need to depose
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certain witnesses, and will also provide Defendant with a list of topics for Defendant’s Rule 30(b)(6)
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witness deposition.
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To facilitate the potential streamlining of the remaining discovery without the need to extend
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the current discovery deadlines, and pursuant to LR IA 6-1 and LR 26-3, the Parties stipulate to
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extend the time for Defendant to file its Opposition to Plaintiff’s Motion to Extend All Discovery
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Deadlines (ECF No. 27) from the current deadline of November 4, 2024, through and including
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November 15, 2024.
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DATED this 29th day of October 2024.
DATED this 29th day of October 2024.
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COULTER HARSH LAW
HARPER | SELIM
/s/ Stacey A. Upson
/s/ James E. Harper
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_________________________________
STACEY A. UPSON
Nevada Bar No. 4773
403 Hill Street
Reno, Nevada 89501
Attorneys for Plaintiff
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JAMES E. HARPER
Nevada Bar No. 9822
SABRINA G. WIBICKI
Nevada Bar No. 10669
1935 Village Center Circle
Las Vegas, Nevada 89130
Attorneys for Defendant
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ORDER
IT IS SO ORDERED.
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October 29, 2024
DATED: ________________
UNITED STATES MAGISTRATE JUDGE
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