Eden Treatment, LLC v. Anthem Blue Cross Blue Shield of Nevada

CourtDistrict Court, D. Nevada
DecidedJanuary 14, 2025
Docket2:24-cv-02257
StatusUnknown

This text of Eden Treatment, LLC v. Anthem Blue Cross Blue Shield of Nevada (Eden Treatment, LLC v. Anthem Blue Cross Blue Shield of Nevada) is published on Counsel Stack Legal Research, covering District Court, D. Nevada primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Eden Treatment, LLC v. Anthem Blue Cross Blue Shield of Nevada, (D. Nev. 2025).

Opinion

Mark H. Hutchings, Esq. 1 | Nevada Bar No. 12783 John B. Lanning, Esq. 2 | Nevada Bar No. 15585 HUTCHINGS LAW GROUP 3 | 400 S. 4 St., Suite 550 Las Vegas, Nevada 89101 4 | Telephone: (702) 660-7700 Facsimile: (702) 552-5202 5 | MHutchings@HutchingsLawGroup.com John@HutchingsLawGroup.com 6 | Attorney for Plaintiffs 7 UNITED STATES DISTRICT COURT 8 FOR THE DISTRICT COURT OF NEVADA 9 LAS VEGAS DIVISION

10 EDEN TREATMENT, LLC, a Nevada limited liability company; IGNITE TEEN 11 TREATMENT, LLC, a Nevada limited liability Case No. 2:24-cv-2257-RFB-MDC company;

Plaintiff, STIPULATION AND ORDER EXTENDING 13 PLAINTIFFS’ TIME TO FILE A v. RESPONSE TO DEFENDANTS’ MOTION 14 TO COMPEL ARBITRATION, OR IN THE ROCKY MOUNTAIN HOSPITAL AND ALTERNATIVE, TO DISMISS AND 15 | MEDICAL SERVICES, INC., a Colorado STRIKE PLAINTIFFS’ FIRST AMENDED Corporation; HMO COLORADO, INC., a COMPLAINT, AND SUPPORTING 16 | Colorado Corporation; CARELON MEMORANDUM OF POINTS & BEHAVIORAL CARE, INC., a Delaware AUTHORITIES 17 | Corporation; CARELON BEHAVIORAL HEALTH, INC., a Virginia Corporation; (FIRST REQUEST) 18 | CARELON HEALTH OF NEVADA, INC., a Nevada Corporation; THE ELEVANCE 19 | HEALTH COMPANIES, INC., an Indiana Corporation; DOES 1-10, business entities, 20 | forms unknown; DOES 11-20, individuals; and DOES 21-30, inclusive, Defendants. 22 23 24 PLEASE TAKE NOTICE that the Parties, Plaintiffs EDEN TREATMENT, LLC and IGNITE 25 | TEEN TREATMENT, LLC (“Plaintiffs”), by and through their counsel of record, Mark H. Hutchings, 26 | Esq. and John B. Lanning, Esq. of HUTCHINGS LAW GROUP and Defendants Rocky Mountain 27 | Hospital and Medical Service, Inc. dba Anthem Blue Cross and Blue Shield (“Rocky Mountain”), 28 | incorrectly named as Rocky Mountain Hospital and Medical Services, Inc., HMO Colorado Inc. dba STIPULATION AND ORDER EXTENDING DEFENDANT’S TIME TO FILE A RESPONSIVE PLEADING TO DEFENDANTS’ MOTION TO COMPFET, ARBITRATION. OR IN THE ALTERNATIVE. TO DISMISS AND STRIKE PT.AINTIFES’ FIRST AMENDED COMPT AINT.

1|HMO Nevada (“HMO Colorado”), and The Elevance Health Companies, Inc. (“Elevance’) 2 | (collectively, “Defendants”), by and through their counsel of record, Tamara Beatty Peterson, Esq. of 3 | PETERSON BAKER, PLLC hereby stipulate and agree as follows: 4 5 1. On December 30, 2024, Defendants filed a Motion to Compel Arbitration, or in the Alternative, 6 to Dismiss and Strike Plaintiffs First Amended Complaint, and Supporting Memorandum of 7 Points & Authorities (ECF No. 15). 8 2. A Response is currently due from Plaintiffs on January 13, 2025. 9 3. Defendants have agreed to extend the deadline for Plaintiff to file a Response to the Motion to 10 Compel Arbitration, or in the Alternative, to Dismiss and Strike Plaintiffs First Amended 11 Complaint, and Supporting Memorandum of Points & Authorities up to and including January 17, 2025. 13 4. This is the first stipulation of time for Plaintiffs to respond to Defendants’ Motion to Compel 14 Arbitration, or in the Alternative, to Dismiss and Strike Plaintiffs First Amended Complaint, 15 and Supporting Memorandum of Points & Authorities (ECF No. 15). 16 IT IS SO STIPULATED. 17 18 | Submitted by: Approved at to content by: 19 | Dated this 14" day of January, 2025 Dated this 14" day of January, 2025 20 | HUTCHINGS LAW GROUP PETERSON BAKER, PLLC 21 | By: /s/ Mark H. Hutchings By:/s/ Tamara B. Peterson 7 Mark H. Hutchings, Esq. Tamara Beatty Peterson, Esq. Nevada Bar No. 12783 Nevada Bar No. 5218 23 John B. Lanning, Esq. 701 South 7" Street Nevada Bar No. 15585 Las Vegas, Nevada 89101 24 400 S. 4th St., Suite 550 Attorney for Defendants Las Vegas, Nevada 89101 25 Attorney for Plaintiffs 26 27 28 STIPULATION AND ORDER EXTENDING DEFENDANT’S TIME TO FILE A RESPONSIVE PLEADING TO DEFENDANTS’ MOTION TO COMPFET, ARBITRATION. OR IN THE ALTERNATIVE. TO DISMISS AND STRIKE PT.AINTIFES’ FIRST AMENDED COMPT AINT.

1 7 ORDER 3 The Stipulation Extending Plaintiffs’ time to File a Response to Defendants’ Motion to Compel 4 | Arbitration, or in the Alternative, to Dismiss and Strike Plaintiffs’ First Amended Complaint [ECF No. 5 | 15] is hereby GRANTED. 6 7 8 ds 10 RICHARD F. BOULWARE, II UNITED STATES DISTRICT JUDGE DATED: This 14th day of January, 2025. 5 13

5 15

17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER EXTENDING DEFENDANT’S TIME TO FILE A RESPONSIVE PLEADING TO DEFENDANTS’ MOTION TO COMPFET, ARBITRATION. OR IN THE ALTERNATIVE. TO DISMISS AND STRIKE PT.AINTIFES’ FIRST AMENDED COMPT AINT.

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Bluebook (online)
Eden Treatment, LLC v. Anthem Blue Cross Blue Shield of Nevada, Counsel Stack Legal Research, https://law.counselstack.com/opinion/eden-treatment-llc-v-anthem-blue-cross-blue-shield-of-nevada-nvd-2025.