Massachusetts Bay Insurance Company et al v. Push HDD, LLC et al

Filing 41

ORDER re 40 Stipulated Motion to Extend Time for Hudson Insurance Company to Respond to Zurich American Insurance Company's Cross Claim. Defendant Hudson Insurance Company shall have up to and including March 23, 2018 to answer or otherwise respond to Defendant Zurich American Insurance Company's Cross-Claim (Dkt. # 37 ). Signed by Judge Ricardo S Martinez. (PM)

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1 2 3 4 5 6 7 8 IN THE UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 9 10 11 12 MASSACHUSETTS BAY INSURANCE COMPANY AND HANOVER INSURANCE COMPANY, 13 14 15 16 17 18 Plaintiffs, v. PUSH HDD, LLC; REECE CONSTRUCTION COMPANY; ZURICH AMERICAN INSURANCE COMPANY; AND HUDSON INSURANCE COMPANY Case No. C17-1174 RSM STIPULATED MOTION AND ORDER TO EXTEND TIME FOR HUDSON INSURANCE COMPANY TO RESPOND TO ZURICH AMERICAN INSURANCE COMPANY'S CROSS CLAIM Defendants. 19 20 Defendant Hudson Insurance Company's ("Hudson") deadline to answer or otherwise 21 respond to Defendant Zurich American Insurance Company's ("Zurich") Cross Claim is currently 22 Monday February 12, 2017. The parties in this litigation are working on a settlement which 23 would result the dismissal of Zurich's cross claim against Hudson. 24 Hudson and Zurich therefore seek to avoid Hudson filing an unnecessary and moot 25 response to the cross claim by extending the time for Hudson to answer or otherwise respond to 26 Zurich's cross claim. STIPULATED MOTION AND ORDER TO EXTEND TIME TO RESPOND TO ZURICH'S CROSS CLAIM Case No.: 2:17-cv-01174-RSM -1 41733.1 1574.43377 SELMAN BREITMAN LLP 800 Fifth Avenue, Suite 4100 Seattle, WA 98104 T: 206.447.6461 F:206.588.4185 1 Hudson seeks, and Zurich stipulates to, additional time through and including March 23, 2 2018, to answer or otherwise respond to Zurich's Cross Claim. Zurich and Hudson hereby 3 stipulate Hudson shall have through and including March 23, 2018 to answer or otherwise 4 respond to Zurich's Cross Claim. 5 SO STIPULATED to this February 8, 2018. 6 7 8 9 10 11 12 13 14 By: /s/ Jacquelyn A. Beatty (signed by Justin By: /s/ Justin S. Landreth ________________ Peter J. Mintzer, WSBA #19995 S. Landreth with e-mail authorization) Justin S. Landreth, WSBA #44849 Jacquelyn A. Beatty, WSBA #17567 SELMAN BREITMAN LLP KARR TUTTLE CAMPBELL 800 Fifth Avenue, Suite 4100 701 Fifth Avenue, Suite 3300 Seattle, WA 98104 Seattle, WA 98104 Telephone: 206.447.6461 Telephone: 206.223-1313 Facsimile: 206.588.4185 pmintzer@selmanlaw.com jbeatty@karrtuttle.com jlandreth@selmanlaw.com Attorneys for Defendant ZURICH Attorneys for Defendant HUDSON AMERICAN INSURANCE COMPANY INSURNACE COMPANY 15 16 17 18 ORDER Defendant Hudson Insurance Company shall have up to and including March 23, 2018 to 19 answer or otherwise respond to Defendant Zurich American Insurance Company's Cross-Claim 20 (Dkt. #37). 21 22 23 24 Dated this 9th day of February 2018. A RICARDO S. MARTINEZ CHIEF UNITED STATES DISTRICT JUDGE 25 26 STIPULATED MOTION AND ORDER TO EXTEND TIME TO RESPOND TO ZURICH'S CROSS CLAIM Case No.: 2:17-cv-01174-RSM - 2 41733.1 1574.43377 SELMAN BREITMAN LLP 800 Fifth Avenue, Suite 4100 Seattle, WA 98104 T: 206.447.6461 F:206.588.4185

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