Lewis v. Vail Resorts Inc

CourtDistrict Court, W.D. Washington
DecidedJanuary 3, 2025
Docket2:23-cv-00812
StatusUnknown

This text of Lewis v. Vail Resorts Inc (Lewis v. Vail Resorts Inc) is published on Counsel Stack Legal Research, covering District Court, W.D. Washington primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Lewis v. Vail Resorts Inc, (W.D. Wash. 2025).

Opinion

6 UNITED STATES DISTRICT COURT FOR THE 7 WESTERN DISTRICT OF WASHINGTON

8 MIROSLAVA LEWIS, No. 2:23-cv-00812-RSL 9 Plaintiff, 10 STIPULATED MOTION AND ORDER v. TO EXTEND DEADLINE TO FILE

11 REPLY IN SUPPORT OF VAIL VAIL RESORTS, INC., VAIL DEFENDANTS; MOTION FOR HOLDINGS, INC., THE VAIL 12 CORPORATION, and JOHN DOES 1-3, SUMMARY JUDGMENT

13 Defendants.

14 I. STIPULATION 15 For good cause shown pursuant to Fed. R. Civ. P. 16(b)(4) and United States District 16 Court for the Western District of Washington Local Civil Rule (LCR) 7(j) and 16(b)(6), 17 defendants Vail Resorts, Inc., Vail Holdings, Inc., and the Vail Corporation (collectively 18 “Defendants”) and Plaintiff Miroslava Lewis respectfully and jointly move for entry of an 19 order extending the deadline for Defendants to file their reply in support of their motion for 20 summary judgment, (Dkt. #74), to January 9, 2025. 21 A court may modify the deadlines in a case schedule or for a summary judgment 22 motion for good cause. Fed. R. Civ. P. 16(b)(4); LCR 7(j); LCR 16(b)(5), (6). This standard 23 primarily considers the diligence of a party seeking the amendment. Johnson v. Mammoth 24 Recreations, 975 F.2d 604, 609 (9th Cir. 1992). Counsel for the parties have been working 25 cooperatively to adjust filing deadlines related to Defendants’ motion for summary judgment 26 and agree that good cause exists for a 3-day extension of the deadline for Defendants to file 27 1 the reply in support of their motion for summary judgment: 2 1. Defendants filed their motion for summary judgment on December 3, 2024. 3 (Dkt. # 74.) Plaintiff’s response was due by December 26, with Defendants’ reply due by 4 December 31. See LCR 7(c)(4). 5 2. On December 23, Plaintiff filed an unopposed motion to extend the deadline 6 for her summary judgment response by 5 days to December 31. (Dkt. #78.) The Court granted 7 the motion. (Dkt. #79.) Plaintiff filed her response on December 31. (Dkt. #81.) 8 3. Counsel for the parties’ conferred and agreed that good cause exists for a 9 similar short extension for Defendants to file their reply in support of summary judgment 10 given the holidays, Plaintiff’s short deadline extension, Defendants’ non-opposition to 11 Plaintiff’s request for an extension, and the lack of prejudice to any party by these short 12 extensions. 13 Given the above, the parties stipulate the good cause exists to extend the deadline for 14 Defendants to file their reply in support of their pending motion for summary judgment by 15 three days to January 9, 2025. 16 IT IS SO STIPULATED THROUGH COUNSEL OF RECORD 17 DATED: January 3, 2025 18 KEATING, BUCKLIN & McCORMACK, INC., P.S. 19 20 By: /s/ Richard B. Jolley 21 Richard B. Jolley, WSBA #23473 22 Brian C. Augenthaler, WSBA #44022 Margot G. Cotter, WSBA #57540 23 Rakiah B. Adams, WSBA #58799 Attorneys for Defendants 24 1201 Third Avenue, Suite 1580 25 Seattle, WA 98101 26 Phone: (206) 623-8861 Fax: (206) 223-9423 27 Email: rjolley@kbmlawyers.com baugenthaler@kbmlawyers.com 1 mcotter@kbmlawyers.com radams@kbmlawyers.com 2 I certify that this memorandum contains 351 words, in compliance with the Local Civil Rules. 3 4 DATED: January 3, 2025 5 SALTZ MONGELUZZI BENDESKY, PC. 6 7 By: /s/ Robert W. Zimmerman Robert W. Zimmerman (pro hac vice) PA# 208410 8 Samuel A. Haaz (pro hac vice) PA# 21505 Attorneys for Plaintiff 9

10 1650 Market Street, 52nd Floor Philadelphia, PA 19103 11 Phone: (215) 575-3898 Email: rzimmerman@smbb.com 12 shaaz@smbb.com 13 DATED: January 3, 2025 14 DEBORAH ALEXANDER ATTORNEY AT LAW 15 PLLC 16 17 By: /s/Deborah E. Alexander Deborah Emanuel Alexander, WSBA #21505 18 Attorney for Plaintiff

19 11900 NE 1st Street, Suite 300 20 Bellevue, WA 98005 Phone: (206) 403-3426 21 Email: dalexander@alexanderlawoffice.com 22 23 24 25 26 27 II. ORDER 1 THIS MATTER having come on regularly for hearing upon the stipulation of the 2 parties and the Court being fully advised in the premises, now, therefore, it is hereby 3 ORDERED that the deadline for Defendants to file their reply in support of their motion for 4 summary judgment, (Dkt. #74), is continued to January 9, 2025. 5

6 Dated this 3rd day of January, 2025.

7 8 Robert S. Lasnik 9 United States District Judge 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27

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Lewis v. Vail Resorts Inc, Counsel Stack Legal Research, https://law.counselstack.com/opinion/lewis-v-vail-resorts-inc-wawd-2025.