King County v Travelers Indemnity Company et al

Filing 710

STIPULATION AND ORDER extending deadline to answer 699 Fourth Amended Complaint. USAIG and its member companies, in their capacity as such, shall have until September 28, 2018, to answer the Fourth Amended Complaint. Signed by Judge Barbara J. Rothstein. (PM)

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1 The Honorable Barbara J. Rothstein 2 3 4 5 6 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 8 9 KING COUNTY, a Washington municipal 10 corporation, No. 2:14-cv-01957 BJR STIPULATION AND ORDER FURTHER Plaintiff, EXTENDING DEADLINE TO ANSWER FOURTH AMENDED COMPLAINT 11 12 vs. 13 14 TRAVELERS INDEMNITY COMPANY; et al., 15 NOTE ON MOTION CALENDAR: September 21, 2018 Defendants. 16 STIPULATION 17 On August 9, 2018, the Court issued an Order granting King County’s motion to amend 18 19 and file its Fourth Amended Complaint. On August 22, 2018, Plaintiff King County filed its Fourth Amended Complaint (Dkt. 20 21 699). 22 On August 28, 2018, the parties filed a Stipulation Regarding Deadline to Answer 23 Fourth Amended Complaint (Dkt. 700). 24 On August 9, 2018, the Court entered an Order Granting Stipulated Motion Regarding 25 Deadline to Answer Fourth Amended Complaint (Dkt. 701). 26 27 STIPULATION AND ORDER FURTHER EXTENDING DEADLINE TO ANSWER FOURTH AMENDED COMPLAINT (Cause No. 2:14-cv-01957 BJR) – 1 901 FIFTH AVENUE, SUITE 1700 SEATTLE, WASHINGTON 98164 TELEPHONE: (206) 623-4100 FAX: (206) 623-9273 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 Plaintiff King County and Defendants United States Aircraft Insurance Group (“USAIG”) and its member companies, in their capacity as such, have agreed to allow USAIG and its member companies, in their capacity as such, one additional week to answer the Fourth Amended Complaint. Thus, Plaintiff King County and Defendants United States Aircraft Insurance Group and its member companies, in their capacities as such, hereby stipulate and agree as follows: 1. Each stipulation in the Stipulation Regarding Deadline to Answer Fourth Amended Complaint (Dkt. 700), which was granted by the Court’s Order Granting Stipulated Motion Regarding Deadline to Answer Fourth Amended Complaint (Dkt. 701) shall remain unaffected except that USAIG and its member companies, in their capacity as such, shall have until September 28, 2018, to answer the Fourth Amended Complaint. 2. Unless otherwise agreed by Stipulated Order, all other stipulations in the Stipulation Regarding Deadline to Answer Fourth Amended Complaint (Dkt. 700) remain unchanged and in full force and effect. DATED: September 21, 2018. 16 K&L GATES LLP 17 By: s/ John Bjorkman John Bjorkman, WSBA No. 13426 18 19 21 925 Fourth Avenue, Suite 2900 Seattle, WA 98104 Tel.: (206) 623-7580 John.Bjorkman@klgates.com 22 Counsel for Plaintiff King County 20 23 24 25 26 27 STIPULATION AND ORDER FURTHER EXTENDING DEADLINE TO ANSWER FOURTH AMENDED COMPLAINT (Cause No. 2:14-cv-01957 BJR) – 2 901 FIFTH AVENUE, SUITE 1700 SEATTLE, WASHINGTON 98164 TELEPHONE: (206) 623-4100 FAX: (206) 623-9273 1 SANDERS & PARKS, P.C. 2 By: s/ Edward R. Glady, Jr. 3 Edward R. Glady, Jr., Admitted Pro Hac Vice 3030 North Third Street, Suite 1300 Phoenix, AZ 85012-3099 Tel.: 602-532-5646 Edward.Glady@SandersParks.com 4 5 6 Counsel for USAIG and its member companies in their capacity as such 7 8 ORDER 9 10 11 IT IS SO ORDERED. Dated this 26th day of September, 2018. 12 A 13 14 Barbara Jacobs Rothstein U.S. District Court Judge 15 16 17 18 19 20 21 22 23 24 25 26 27 STIPULATION AND ORDER FURTHER EXTENDING DEADLINE TO ANSWER FOURTH AMENDED COMPLAINT (Cause No. 2:14-cv-01957 BJR) – 3 901 FIFTH AVENUE, SUITE 1700 SEATTLE, WASHINGTON 98164 TELEPHONE: (206) 623-4100 FAX: (206) 623-9273

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