Massachusetts Bay Insurance Company et al v. Push HDD, LLC et al
Filing
48
ORDER granting 47 Stipulated Motion to Extend Time for Hudson Insurance Company to Respond to Second Amended Complaint. Defendant Hudson Insurance Company shall have up to and including May 25, 2018, to answer or otherwise respond to the Second Amended Complaint. Signed by Judge Ricardo S Martinez. (PM)
1
2
3
4
5
6
7
IN THE UNITED STATES DISTRICT COURT
8
WESTERN DISTRICT OF WASHINGTON
9
AT SEATTLE
10
11
12
MASSACHUSETTS BAY INSURANCE
COMPANY AND HANOVER INSURANCE
COMPANY,
Plaintiffs,
13
14
15
16
v.
Case No. 2:17-cv-01174-RSM
STIPULATED MOTION AND ORDER TO
EXTEND TIME FOR HUDSON
INSURANCE COMPANY TO RESPOND
TO SECOND AMENDED COMPLAINT
PUSH HDD, LLC; REECE CONSTRUCTION
COMPANY; ZURICH AMERICAN
INSURANCE COMPANY; AND HUDSON
INSURANCE COMPANY
17
Defendants.
18
19
By stipulated motion, the Court previously extended Defendant Hudson Insurance
20
Company (Hudson's) deadline to April 27, 2018 to answer or otherwise respond to the Second
21
Amended Complaint filed by Plaintiffs Massachusetts Bay Insurance Company and Hanover
22
Insurance Company ("Plaintiffs"). (Dkt #46.) The parties have been working on a settlement
23
agreement that would resolve Plaintiffs' claim against Hudson. That settlement agreement is
24
completed and the parties anticipate dismissal of the action shortly. The Parties therefore again
25
seek to avoid filing and responding to a Rule 12 motion that likely will be moot.
26
ORDER TO EXTEND TIME TO RESPOND TO
SECOND AMENDED COMPLAINT
Case No.: 2:17-cv-01174-RSM -1
42127.1 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 Plaintiffs stipulate to, additional time through and including May 25,
2
2018, to answer or otherwise respond to Plaintiffs' Second Amended Complaint. Plaintiffs and
3
Hudson hereby stipulate Hudson shall have through and including May 25, 2018 to answer or
4
otherwise respond to Plaintiffs' Second Amended Complaint.
5
SO STIPULATED to this April 26, 2018.
6
7
8
9
10
11
12
13
14
15
16
17
18
19
By: /s/ Westin McLean (signed by Justin S. By: /s/ Justin S. Landreth ________________
Peter J. Mintzer, WSBA #19995
Landreth with e-mail authorization)
Justin S. Landreth, WSBA #44849
Thomas Lether, WSBA #18089
SELMAN BREITMAN LLP
Eric J. Neal, WSBA #31863
800 Fifth Avenue, Suite 4100
Westin McLean, WSBA #46462
Seattle, WA 98104
LETHER & ASSOCIATES, PLLC
Telephone: 206.447.6461
Facsimile: 206.588.4185
1848 Westlake Ave N. Suite 100
pmintzer@selmanlaw.com
Seattle, WA 98109
jlandreth@selmanlaw.com
Telephone: 206.467.5444
Facsimile: 206.467.5544
Attorneys for Defendant HUDSON
tlether@letherlaw.com
INSURNACE COMPANY
eneal@letherlaw.com
wmclean@letherlaw.com
Attorneys for Plaintiffs MASSACHUSETTS
BAY INSURANCE COMPANY and THE
HANOVER INSURANCE COMPANY
20
21
22
23
24
25
26
STIPULATED MOTION TO EXTEND TIME TO
RESPOND TO SECOND AMENDED COMPLAINT
Case No.: 2:17-cv-01174-RSM - 2
42127.1 1574.43377
SELMAN BREITMAN LLP
800 Fifth Avenue, Suite 4100
Seattle, WA 98104
T: 206.447.6461 F:206.588.4185
1
ORDER
2
IT IS SO ORDERED. Defendant HUDSON INSURANCE COMPANY shall have up to
3
and including May 25, 2018, to answer or otherwise respond to the Second Amended Complaint.
4
Dated this 26th day of April, 2018.
5
6
A
7
8
RICARDO S. MARTINEZ
CHIEF UNITED STATES DISTRICT JUDGE
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
STIPULATED MOTION TO EXTEND TIME TO
RESPOND TO SECOND AMENDED COMPLAINT
Case No.: 2:17-cv-01174-RSM - 3
42127.1 1574.43377
SELMAN BREITMAN LLP
800 Fifth Avenue, Suite 4100
Seattle, WA 98104
T: 206.447.6461 F:206.588.4185
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?