City Boxing Club v. USA Boxing, Inc.
Opinion
1 Daniel R. Price (NV Bar No. 13564) Christopher Beckstrom (NV Bar No. 14031) 2 Janice J. Parker (NV Bar No. 14102) Jasmin N. Stewart (NV Bar No. 16008) 3 PRICE & BECKSTROM 1404 S. Jones Blvd. 4 Las Vegas, Nevada 89146 Phone: (702) 941-0503 5 Fax: (702) 8382-4026 info@pbnv.law 6 Attorneys for Plaintiffs DISTRICT OF NEVADA 8 CITY BOXING CLUB, et al., Case No.: 2:23-cv-00708-JAD-DJA = 9 s Plaintiffs, 10 Stipulation and Order to Modify < v. Briefing Schedule Regarding 11 Scottsdale Insurance Company USA BOXING, INC. dba USA BOXING, et | and K&K Insurance Group, Inc.’s 12 al., Motion for Leave to Amend Their 5 Answers to the Second Amended + 13 Defendants. Complaint [ECF No. 80]
14 Plaintiffs, City Boxing Club, City Athletic Boxing LLC, and Armin Van Damme 15 (“Plaintiffs”), and Defendants, USA Boxing, Inc. dba USA Boxing, Scottsdale Insurance 16 Company, Nationwide Mutual Insurance Company, K&K Insurance Group, Inc., hereby 17 stipulate to and respectfully submit their request that the Court extend the time for 18 Plaintiffs to file a response to Plaintiffs’ Opposition to Scottsdale Insurance Company and 19 K&K Insurance Group, Inc.’s Motion for Leave to Amend Their Answers to the Second 20 Amended Complaint (“Motion to Amend”) [ECF No. 80]. 21 The Motion to Amend was filed on April 23, 2025, and the response is currently due 22 on May 7, 2025. The parties have been engaged in expert depositions in this matter since 23 ! the Motion to Amend was filed, including the depositions of Plaintiffs’ retained expert
1 Charles Miller and Defendants Scottsdale Insurance Company’s and K&K Insurance 2. Group, Inc.’s retained expert Timothy Walker. Accordingly, counsel was required to spend 3 time preparing for and conducting these depositions in addition to other obligations related 4 to this matter and other matters.
5 Upon request of Plaintiffs’ counsel, all counsel now submit this stipulation and
G request that the Court modify the briefing schedule as stated below. A hearing on the
7 motion has not yet been scheduled.
3 Existing Deadline New Deadline
> Plaintiffs’ Response and any May 7, 2025 May 14, 2025 9 Motion to Join — + 10 Reply Brief in Support of May 14, 2025 May 27, 2025 < Motion to Amend 11 w IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 12 Dated: May 7, 2025. Dated: May 7, 2025. + 13 < /s/ Daniel Price □□□ Stephen Hess 14 Daniel R. Price, Esq. Wing Yan Wong, Esq. Christopher Beckstrom, Esq. Gordon Rees Scully Mansukhani, LLP Janice Parker, Esq. 300 S. 4th Street, Suite 1550 Jasmin Stewart, Esq. Las Vegas, NV 89101 16 Prick & BECKSTROM 1404 S. Jones Blvd. Stephen A. Hess, Esq. 17 Las Vegas, Nevada 89146 Law Office of Stephen A. Hess, P.C. Attorneys for Plaintiffs 111 South Tejon, Suite 102 18 Colorado Springs, CO. 80903 Attorneys for USA Boxing, Inc. 19 20 21 22 23
1 Dated: May 7, 2025. 2 /s/ Brian Pelanda Christine M. Emanuelson, Esq. 3 Nicole Hampton, Esq. Brian L. Pelanda, Esq. 4 Law Office of Hines Hampton Pelanda LLP 5 400 South 4 Street Las Vegas, NV 89101 6 Attorneys for Nationwide Mutual Insurance Company, Scottsdale 7 Insurance Company, and K&K Insurance Group 8 = 9
— ~ 10 DATED: 5/08/2025 IT IS SO ORDERED.
IO Y v ve” \, 2 12 DANIEL J. ALBREGTS 5 UNITED STATES MAGISTRATE + 13 JUDGE
14 15 16 17 18 19 20 21 22 23
Free access — add to your briefcase to read the full text and ask questions with AI
City Boxing Club v. USA Boxing, Inc. (City Boxing Club v. USA Boxing, Inc.) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.