Rodriguez v. Metropolitan Life Insurance Company

Filing 17

CONSENT ORDER for extension of time in which to reply re 14 MOTION to Lift Stay on Discovery Pursuant to Fed.R.Civ.P. 56(f) filed by Armando Rodriguez, ( Response to Motion due by 8/3/2009). Signed by Honorable Henry F Floyd on 7/17/09. (alew, )

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF SOUTH CAROLINA GREENVILLE DIVISION Armando Rodriguez, Plaintiff, vs. Metropolitan Life Insurance Company, Defendant. ) ) ) ) ) ) ) ) ) ) C.A. No.: 6:09-67-HFF CONSENT ORDER FOR EXTENSION OF TIME IN WHICH TO REPLY TO PLAINTIFF'S MOTION TO LIFT STAY ON DISCOVERY Defendant appeared before the Court requesting an additional fifteen (15) days to respond to Plaintiff's Motion to Lift Stay on Discovery currently due on or before July 17, 2009, rendering a new deadline for Defendant's response of August 3, 2009 and Plaintiff consents to this request. Furthermore, Plaintiff requests an additional fifteen (15) days beyond the date Defendant files its Memorandum in Response to the Plaintiff's Motion to Lift the Stay on Discovery for Plaintiff to reply, rather than the usual five (5) days allowed for reply pursuant to Local Rule 7.07, DSC. Defendant consents to Plaintiff's request for an additional ten (10) days to reply to Defendant's response in addition to the five (5) days provided by the rule. IT IS THEREFORE ORDERED that Defendant's response to the Plaintiff's Motion to Lift Stay on Discovery shall be due on August 3, 2009 and Plaintiff shall have fifteen (15) days from that date or the date that Defendant's response is filed to reply if necessary. s/Henry F. Floyd The Honorable Henry F. Floyd U.S. District Judge Date: July 17, 2009 WE SO MOVE: s/Christine Gantt-Sorenson Christine Gantt-Sorenson, Fed. ID # 5833 HAYNSWORTH SINKLER BOYD, P.A. 75 Beattie Place - 11th Floor Post Office Box 2048 Greenville, South Carolina 29602 Email: csorenson@hsblawfirm.com Telephone:(864) 240-3200 Fax: (864) 240-3336 Attorneys for Defendant WE CONSENT: s/Robert E. Hoskins Robert E. Hoskins, Esquire FO STER LAW FIRM, LLP 601 McBee Avenue, Suite 104 P. O. Box 2123 Greenville, SC 29602 Email: rhoskins@fosterfoster.com Attorneys for Plaintiff July 17, 2009 Greenville, South Carolina

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