City Boxing Club v. USA Boxing, Inc.
Opinion
CHRISTINE M. EMANUELSON (SBN 10143) cemanuelson@lawhhp.com NICOLE M. HAMPTON (SBN 16090) nhampton@lawhhp.com BRIAN PELANDA Pro Hac Vice, California Bar No. 278453 bpelanda@lawhhp.com 400 South 4th Street Las Vegas, Nevada 89101 Tel.: (702) 933-7829 Fax: (702) 947-1709 Attorneys for Defendants Scottsdale Ins. Co. and K&K Ins. Group
DISTRICT OF NEVADA CITY BOXING CLUB, et al., Case No.: 2:23-cv-00708-JAD-DJA Plaintiffs, STIPULATION AND [PROPOSED] v. ORDER EXTENDING TIME FOR RESPONSE AND REPLY REGARDING USA BOXING, INC. dba USA BOXING, et PLAINTIFFS’ MOTION TO COMPEL al., PRODUCTION OF DOCUMENTS AND WITNESS DEPOSITION [DOC. 87] Defendants.
THE PARTIES, by and through undersigned counsel, stipulate and agree to extend the time for Defendants Scottsdale insurance Company and K&K Insurance Group to file their response, and to extend the time for Plaintiffs to file their reply, regarding the Motion to Compel that Plaintiffs filed on June 19, 2025. [See Doc. 87.] Scottsdale and K&K’s counsel requested this extension because the motion was filed on June 19, 2025, while he was preparing for the trial of another case that was scheduled to begin trial on July 7th in Los Angeles County, and he has advised that he has not had sufficient time to review and prepare a response to the motion. 1 The current deadlines, and proposed new deadlines are as follows: 2 Current Deadline Proposed Deadline 3 Response: July 3, 2025 July 10, 2025 Reply: July 10, 2025 July 17, 2025 5 6 Dated: July 1, 2025. Dated: July 1, 2025. /s/ Daniel Price /s/Stephen A. Hess g || Daniel R. Price, Esq. Wing Yan Wong, Esq. Christopher Beckstrom, Esq. Gordon Rees Scully Mansukhani, LLP 9 Janice Parker, Esq. 300 S. 4 Street, Suite 1550 Jasmin Stewart, Esq. Las Vegas, NV 89101 price & BECKSTROM ll 1404 S. Jones Blvd. Stephen A. Hess, Esq. Las Vegas, Nevada 89146 Law Office of Stephen A. Hess, P.C. Attorneys for Plaintiffs 111 South Tejon, Suite 102 Colorado Springs, CO. 80903 Attorneys for USA Boxing, Inc. ! Dated: July 1, 2025. IS /s/ Brian Pelanda Christine M. Emanuelson, Esq. Nicole Hampton, Esq. Brian L. Pelanda, Esq. Hines Hampton Pelanda LLP 400 South 4" Street Las Vegas, NV 89101 Attorneys for Scottsdale Insurance Company, 90 and K&K Insurance Group IT IS ORDERED. \ DANIEL J. ALBREGTS UNITED STATES MAGISTRATE JUDGE DATED: 7/2/2025
CERTIFICATE OF SERVICE I hereby certify that on July 1, 2025, I electronically filed the foregoing document with the Clerk of the Court using the CM/ECF system which will send notification of such filing to the e- mail addresses denoted below under the Electronic Mail Notice List. I certify under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed on July 1, 2025.
/s/ Brian Pelanda Brian Pelanda Electronic Mail Notice List Daniel Price, Esq. (daniel@pricebeckstromlaw.com) Christopher Beckstrom, Esq. (chris@pricebeckstromlaw.com) Wing Yan Wong (wwong@grsm.com) Stephen Hess (stephen@stephenahess.com)
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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.