National Union Fire Insurance Co of Pittsburgh PA v Seattle School District No. 1

Filing 38

STIPULATION AND ORDER extending deadline to file answer to first amended counterclaims re parties' 36 Stipulated Motion; Plaintiff has up to 1/9/2018 to answer defendant's first amended counterclaims, signed by Judge Thomas S. Zilly. (SWT)

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THE HONORABLE THOMAS S. ZILLY 1 2 3 4 5 6 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 7 8 9 NATIONAL UNION FIRE INSURANCE COMPANY OF PITTSBURGH, PA., a Pennsylvania insurance company, 11 12 13 STIPULATED MOTION AND ORDER EXTENDING DEADLINE TO FILE ANSWER TO FIRST AMENDED COUNTERCLAIMS Plaintiff, 10 NO. 2:16-cv-01534 TSZ v. SEATTLE SCHOOL DISTRICT NO. 1, a Washington municipal corporation, Defendant. 14 15 National Union Fire Insurance Company of Pittsburgh, PA (“National Union”) and 16 Seattle School District No. 1 (“SSD”), by and through their attorneys of record, hereby submit 17 this Stipulated Motion and Proposed Order Extending Deadline for National Union to file its 18 Answer to SSD’s First Amended Counterclaims. 19 I. STIPULATED MOTION 20 On November 20, 2017, National Union filed its First Amended Complaint for 21 Declaratory Judgment regarding Insurance Coverage (Dkt.34), per this Court’s Order of 22 November 15, 2017 (Dkt.33). On December 11, 2017, SSD filed its Answer to First Amended 23 Complaint and First Amended Counterclaims (Dkt.35). 24 November 15, 2017, National Union’s Answer to SSD’s First Amended Counterclaims is due on 25 STIPULATED MOTION AND ORDER EXTENDING DEADLINE TO FILE ANSWER TO FIRST AMENDED COUNTERCLAIMS – PAGE 1 Case No. 2:16-cv-01534 Pursuant to the Court Order of GORDON REES SCULLY MANSUKHANI, LLP 701 5th Avenue, Suite 2100 Seattle, WA 98104 Telephone: (206) 695-5100 Facsimile: (206) 689-2822 1 January 2, 2018. However, in light of the intervening holidays, National Union is seeking a 2 week extension, from January 2, 2018 to January 9, 2018, to file its Answer to SSD’s First 3 Amended Counterclaims. 4 Accordingly, the parties respectfully request that this Court extend the deadline for 5 National Union to file its Answer to SSD’s First Amended Counterclaims from January 2, 2018 6 to January 9, 2018. 7 DATED this 27th day of December, 2017. 8 9 10 11 12 13 14 15 GORDON REES SCULLY MANSUKHANI, LLP By: s/ Donald J. Verfurth Donald J. Verfurth, WSBA No. 15554 Sally S. Kim, WSBA No. 35289 Attorneys for Plaintiff NATIONAL UNION FIRE INSURANCE COMPANY 701 Fifth Avenue, Suite 2100 Seattle, WA 98104 Email: dverfurth@grsm.com Email: sallykim@grsm.com 16 17 18 19 20 21 22 PATTERSON BUCHANAN FOBES & LEITCH, INC., P.S. By: s/ Kevin J. Kay Kevin J. Kay, WSBA No. 34546 Attorneys for Defendant SEATTLE SCHOOL DISTRICT 2112 Third Avenue, Suite 500 Seattle, WA 98121 Email: kjk@pattersonbuchanan.com 23 24 25 STIPULATED MOTION AND ORDER EXTENDING DEADLINE TO FILE ANSWER TO FIRST AMENDED COUNTERCLAIMS – PAGE 2 Case No. 2:16-cv-01534 GORDON REES SCULLY MANSUKHANI, LLP 701 5th Avenue, Suite 2100 Seattle, WA 98104 Telephone: (206) 695-5100 Facsimile: (206) 689-2822 1 II. ORDER 2 Based on the foregoing Stipulated Motion: 3 IT IS HEREBY ORDERED that National Union Fire Insurance Company of Pittsburgh, 4 Pa. has up to and including January 9, 2018, to answer Seattle School District No. 1’s First 5 Amended Counterclaims. 6 DATED this 4th day of January, 2018. A 7 8 Thomas S. Zilly United States District Judge 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 STIPULATED MOTION AND ORDER EXTENDING DEADLINE TO FILE ANSWER TO FIRST AMENDED COUNTERCLAIMS – PAGE 3 Case No. 2:16-cv-01534 GORDON REES SCULLY MANSUKHANI, LLP 701 5th Avenue, Suite 2100 Seattle, WA 98104 Telephone: (206) 695-5100 Facsimile: (206) 689-2822

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