Minden v. Allstate Property and Casualty Insurance Company
Opinion
1 I. SCOTT BOGATZ, ESQ. Nevada Bar No. 3367 2 MICHAEL S. KELLEY, ESQ. Nevada Bar No. 10101 3 300 South 4th Street, Suite 830 Las Vegas, Nevada 89101 4 Telephone: (702) 776-7000 Facsimile: (702) 776-7900 5 sbogatz@rrblf.com mkelley@rrblf.com 6 Attorneys for Plaintiffs 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9
10 MICHAEL MINDEN & THERESA MINDEN, Case No.: 2:21-cv-00151-APG-BNW
11 Plaintiffs, STIPULATION TO EXTEND DEADLINE 12 vs. FOR PLAINTIFFS TO RESPOND TO DEFENDANT’S MOTION TO DISMISS 13 ALLSTATE PROPERTY AND CASUALTY (ECF No. 6) INSURANCE COMPANY, an Illinois 14 Corporation; DOE INDIVIDUALS 1-10 and (First Request) ROE ENTITIES I-X, 15
Defendants. 16
18 Plaintiffs, MICHAEL MINDEN and THERESA MINDEN (collectively, “Plaintiffs”), by 19 and through their counsel of record, the law firm of REID RUBINSTEIN & BOGATZ, and 20 Defendant Allstate Property and Casualty insurance Company’s (“Defendant”), by and through its 21 counsel of record, the law firm of McCORMICK, BARSTOW, SHEPPARD, WAYTE & 22 CARRUTH LLP, hereby stipulate pursuant to LR IA 6-1 to extend the deadline for Plaintiffs to 23 respond to Defendant’s Motion to Dismiss (ECF No. 6) as follows: 24 1. Defendant filed its Motion to Dismiss (ECF No. 6) Plaintiffs’ Complaint (ECF No. 25 1-1) on February 5, 2021. 26 2. Plaintiffs’ response to Defendant’s Motion to Dismiss is currently due on February 27 19, 2021. 28 1 3. Plaintiffs and Defendant stipulate and agree that the due date shall be extended and 2 || Plaintiffs’ response to the Motion to Dismiss shall be due on or before February 26, 2021. 3 4. This is the first stipulation to extend the deadline for Plaintiffs to respond to 4 || Defendant’s Motion to Dismiss. 5 5. The extension is requested because Plaintiffs are evaluating whether to amend the 6 || complaint under FRCP 15(a)(1)(B), which allows a party to amend the complaint within 21 days 7 || after the filing a motion under FRCP 12(b). The time limit for Plaintiffs to amend their complaint 8 || under FRCP 15(a)(1)(B) is the February 26, 2021. Plaintiffs request the extension to the deadline 9 || to respond to the Motion to Dismiss so that the deadline to respond to Motion to Dismiss and the 10 || deadline to amend the complaint under FRCP 15(a)(1)(B) are the same date. Therefore, if Plaintiffs 11 || decide to amend their complaint on or before the 26th, then Plaintiffs will not need to file a 12 || response to the Motion to Dismiss. 2 13 6. This extension is requested in good faith and not to delay the proceedings or 2 8 14 |] prejudice any party. 15 DATED this 19th day of February, 2021.
222 16 S gx 7 REID RUBINSTEIN & BOGATZ McCORMICK, BARSTOW, SHEPPARD, 8 WAYTE & CARRUTH LLP 18 _/s/ Michael S. Kelley, Esq. __fs/ Wade M. Hansard, Esq. 19 I. Scott Bogatz, Esq. Wade M. Hansard, Esq. Nevada Bar No. 3367 Nevada Bar No. 8104 20 Michael S. Kelley, Esq. Jonathan W. Carlson, Esq. Nevada Bar No. 10101 Nevada Bar No. 10536 300 South 4" Street 8337 West Sunset Road, Suite 350 22 Las Vegas, Nevada 89101 Las Vegas, Nevada 89113 Attorneys for Plaintiffs Attorneys for Defendant 23 24 IT IS SO ORDERED. 25
UNITED STATES DISTRICT JUDGE 27 Date: February 19,2021 28 Page 2 of 2
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