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

Filing 8

ORDER granting 7 Stipulated Motion Continuing Initial Scheduling Dates. FRCP 26f Conference Deadline is 10/1/2017, Initial Disclosure Deadline is 10/8/2017, Joint Status Report and Discovery Plan due by 10/15/2017, signed by Judge Ricardo S Martinez. (TH)

Download PDF
1 2 3 4 5 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 6 7 8 9 10 11 MASSACHUSETTS BAY INSURANCE COMPANY et al., No. C17-1174 RSM STIPULATION AND ORDER CONTINUING INITIAL SCHEDULING DATES Plaintiffs, v. PUSH HDD, LLC et al., Defendants. 12 STIPULATION 13 14 15 16 17 18 19 20 The parties appearing in this action, Plaintiffs Massachusetts Bay Insurance Company and The Hanover Insurance Company (“Plaintiffs”) and The Tulalip Tribes of Washington (“Tulalip”) through their attorneys of record stipulate and agree that good cause exists to continue initial scheduling dates in this action in order to allow additional parties to appear in the subject matter and engage in initial discovery. The appearing parties hereby agreed to extend the current initial deadlines by 30 days. Pursuant to the stipulation and request, the parties request that the deadlines be extended as follows: STIPULATATION AND ORDER CONTINUING INITIAL SCHEDULING DATES – 1 S:\Martinez\Massachusetts 17-1174.stip-ord-ext.docx LETHER & ASSOCIATES PLLC. 1848 WESTLAKE AVENUE N, SUITE 100 SEATTLE, WA 98109 P: (206) 467-5444 F: (206) 467-5544 1 Deadline for FRCP 26(f) Conference: October 1, 2017 2 Initial Disclosure Pursuant to FRCP 26(a)(1): October 8, 2017 3 4 5 Combined Joint Status Report and Discovery Plan as Required by FRCP 26(f) and Local Civil Rule 26(f): October 15, 2017 6 7 DATED this 29th day of August, 2017. 8 9 10 11 12 13 14 LETHER & ASSOCIATES, PLLC PACIFICA LAW GROUP, LLP By: /s/ Thomas Lether _ Thomas Lether, WSBA #18089 Westin McLean, WSBA# 46462 1848 Westlake Avenue N, Suite 100 Seattle, WA 98109 Telephone: 206-467-5444 Facsimile: 206-467-5544 tlether@letherlaw.com wmclean@letherlaw.com Attorney for Plaintiffs By: /s John Parnass__________ John Parnass, WSBA #18582 1191 Second Avenue, Suite 2000 Seattle, WA 98101 Telephone: 206-245-1740 Facsimile: 206-245-1790 John.parnass@pacificalawgroup.com Attorney for Defendant The Tulalip Tribes of Washington 15 16 ORDER 17 Based on the appearing parties’ Stipulation, and finding that there is good 18 cause to continue initial scheduling dates, it is hereby 19 ORDERED that the initial scheduling dates in this matter are extended by 20 30 days. The clerk of court shall reset the following deadlines: STIPULATATION AND ORDER CONTINUING INITIAL SCHEDULING DATES – 2 S:\Martinez\Massachusetts 17-1174.stip-ord-ext.docx LETHER & ASSOCIATES PLLC. 1848 WESTLAKE AVENUE N, SUITE 100 SEATTLE, WA 98109 P: (206) 467-5444 F: (206) 467-5544 1 Deadline for FRCP 26(f) Conference: October 1, 2017 2 Initial Disclosure Pursuant to FRCP 26(a)(1): October 8, 2017 3 4 5 Combined Joint Status Report and Discovery Plan as Required by FRCP 26(f) and Local Civil Rule 26(f): October 15, 2017 6 7 DATED this 31st day of August 2017. 8 A 9 RICARDO S. MARTINEZ CHIEF UNITED STATES DISTRICT JUDGE 10 11 12 Presented by: LETHER & ASSOCIATES, PLLC PACIFICA LAW GROUP, LLP By: /s/ Thomas Lether _ Thomas Lether, WSBA #18089 Westin McLean, WSBA# 46462 1848 Westlake Avenue N, Suite 100 Seattle, WA 98109 Telephone: 206-467-5444 Facsimile: 206-467-5544 tlether@letherlaw.com wmclean@letherlaw.com Attorney for Plaintiffs By: /s/ John Parnass_________ John Parnass, WSBA #18582 1191 Second Avenue, Suite 2000 Seattle, WA 98101 Telephone: 206-245-1740 Facsimile: 206-245-1790 John.parnass@pacificalawgroup.com Attorney for Defendant The Tulalip Tribes of Washington 13 14 15 16 17 18 19 20 STIPULATATION AND ORDER CONTINUING INITIAL SCHEDULING DATES – 3 S:\Martinez\Massachusetts 17-1174.stip-ord-ext.docx LETHER & ASSOCIATES PLLC. 1848 WESTLAKE AVENUE N, SUITE 100 SEATTLE, WA 98109 P: (206) 467-5444 F: (206) 467-5544

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?