Logan v. American Insure-All Agency Incorporated et al

Filing 20

STIPULATION AND ORDER TO RENOTE CONSIDERATION DATE FOR PLAINTIFF'S MOTION TO AMEND. Plaintiff's Motion to Amend is renoted to Friday, December 15, 2017, with opposition response due Monday, December 11. Signed by Judge Marsha J. Pechman. (TH)

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1 2 3 Honorable Marsha J. Pechman 4 5 6 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 8 9 JOHN ROCK LOGAN, 10 Plaintiff, No. 2:17-cv-00605-MJP 11 v. 12 13 AMERICAN INSURE-ALL AGENCY, INCORPORATED; and DONALD MOE JUNIOR, INDIVIDUALLY, 14 STIPULATION AND ORDER TO RENOTE CONSIDERATION DATE FOR PLAINTIFF’S MOTION TO AMEND NOTE ON MOTION CALENDAR: LCR 7(d)(1): SAME DAY Defendants. 15 16 Plaintiff John Rock Logan (“Plaintiff”) and Defendants American Insure-All Agency, 17 Incorporated; and Donald Moe Junior, Individually (“Defendants”), through their respective 18 counsel, hereby submit this Stipulation and [Proposed] Order to Renote Consideration Date For 19 Plaintiff’s Motion to Amend. I. 20 STIPULATION 21 On November 17, 2017, Plaintiff filed his Motion to Amend, which is currently noted for 22 December 1, 2017. Dkt. 18. Pursuant to LCR 7(l), IT IS HEREBY STIPULATED AND 23 AGREED, by and between counsel for Plaintiff and Defendants, that the consideration date of 24 Plaintiff’s Motion to Amend be renoted to Friday, December 15, 2017, with opposition response 25 STIPULATION AND ORDER TO RENOTE CONSIDERATION DATE FOR PLAINTIFF’S MOTION TO AMEND - 1 2:17-cv-00605-MJP 1 2 3 4 5 6 7 8 9 10 due Monday, December 11, in order to allow Defendants additional time to respond (as defense counsel will be out of state for the week after Thanksgiving). DATED this 21st day of November, 2017. DATED this 21st day of November, 2017. LAW OFFICE OF THOMAS G. JARRARD, PLLC PATTERSON BUCHANAN FOBES & LEITCH, INC., P.S. By: _/s/ Adam G. Cuff__________ Patricia K. Buchanan, WSBA 19892 Adam G. Cuff, WSBA 26439 Of Attorneys for Defendants 2112 Third Avenue, Suite 500 Seattle, WA 98121 pkb@pattersonbuchanan.com agc@pattersonbuchanan.com By:_/s/ Thomas G. Jarrard____________ Thomas G. Jarrard, WSBA 39774 Of Attorneys for Plaintiff 1020 North Washington Street Spokane, WA 99203 Telephone: 425 239-7290 TJarrard@att.net CROTTY & SON, PLLC 11 Matthew Z. Crotty, WSBA 39284 Of Attorneys for Plaintiff 421 W. Riverside Ave., Suite 1005 Spokane, WA 99201-0420 Telephone: (509) 850-7011 matt@crottyandson.com 12 13 14 15 II. 16 17 18 ORDER Based on the foregoing Stipulation, it is so ordered DATED this 21st day of November, 2017. 19 A 20 21 Marsha J. Pechman United States District Judge 22 23 24 25 STIPULATION AND ORDER TO RENOTE CONSIDERATION DATE FOR PLAINTIFF’S MOTION TO AMEND - 2 2:17-cv-00605-MJP

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