Siegfried v. Lopez
Opinion
1 |} DENNIS M. PRINCE Nevada Bar No. 5092 2 || KEVIN T. STRONG Nevada Bar No. 12107 3 || PRINCE LAW GROUP 10801 W. Charleston Boulevard 4 || Suite 560 Las Vegas, Nevada 89135 5 || Tel: (702) 534-7600 Fax: (702) 534-7601 6 || Email: eservice@thedplg.com Attorneys for Plaintiff 7 || Debbie Siegfried 10 DEBBIE SIEGFRIED, individually, CASE NO.: 2:20-cv-01905-KJD-DJA 11 . ORDER GRANTING Plaintiff, JOINT MOTION TO CONTINUE HEARING ON PLAINTIFF'S 13 MOTION TO COMPEL (ECF No. 50) 14 || Foreign Corporation; and JESS LOPEZ, INSURANCE COMPANY’S individually; DOES I through X; and ROE MOTION FOR PROTECTIVE 15 || BUSINESS ENTITIES I through X, ORDER (ECF No. 51) inclusive, 16 17 Defendants. 18 Plaintiff DEBBIE SIEGFRIED (“Siegfried”), by and through her counsel of recor« 19 Dennis M. Prince and Kevin T. Strong of PRINCE LAW GROUP, and Defendant LOY. 20 INSURANCE COMPANY (“Loya”), by and through its counsel of record, M. Bradle 21 |! Johnson of KRAVITZ SCHNITZER JOHNSON & WATSON, CHTD., hereby file the 22 || Joint Motion to Continue Hearing on Plaintiff's Motion to Compel (ECF No. 50) an 23 || Defendant Loya Insurance Company’s Motion for Protective Order (ECF No. 51). 25 I. 27 “[Djistrict courts . . . retain broad discretion to control their dockets. . . 28 Shahrokhi v. Harter, No. 2:21-cv-01126-RFB-NJK, 2021 U.S. Dist. LEXIS 247936, at *
1 ||(D. Nev. Dec. 30, 2021). On February 13, 2023, this Court scheduled a hearing o 2 Siegfried’s Motion to Compel Defendant Loya Insurance Company’s Responses t 9 || Plaintiffs Third Set of Requests for Production of Documents and Fourth Set of Request 4 for Production of Documents (ECF No. 50) and Defendant Loya Insurance Company 5 Motion for Protective Order Regarding Plaintiff Debbie Siegfried’s Deposition Subpoen 6 to the F.R.C.P. 30(b)(6) Representative for Loya Insurance Company (ECF No. 51) fc
7 Thursday, March 2, 2023 at 10:00 a.m. Siegfried and Loya hereby respectfully reques this Court to continue the March 2, 2023 hearing to March 9, 2023 or any date thereafte 8 that may be more convenient for this Court.! The parties request this continuatio 9 because counsel for Siegfried are scheduled to attend a full-day mediation in a 10 unrelated matter that was scheduled prior to this Court’s Order setting the hearing. 1 II. 13 Based on the foregoing, the parties respectfully request this Court to grant the’ 14 || motion and continue the March 2, 2023 hearing to March 9, 2023 or any date thereafte 15 that is more convenient for this Court. 1¢ || DATED this 24th day of February, 2023. DATED this 24th day of February, 2023. 17 |} PRINCE LAW GROUP KRAVITZ, SCHNITZER JOHNSON &
19 || Zs/ Kevin T. Strong /s/_M. Bradley Johnson DENNIS M. PRINCE M. BRADLEY JOHNSON 20 || Nevada Bar No. 5092 Nevada Bar No. 4646 KEVIN T. STRONG 8985 S. Eastern Avenue 21 || Nevada Bar No. 12107 Suite 200 10801 W. Charleston Boulevard Las Vegas, Nevada 89123 292 || Suite 560 Tel: (702) 322-4126 Las Vegas, Nevada 89135 Fax: (702) 362-2203 93 || Tel: (702) 534-7600 Attorneys for Defendant Fax: (702) 534-7601 Loya Insurance Company 24 || Attorneys for Plaintiff Debbie Siegfried 25 26 ||1 Siegfried and Loya hereby file this joint motion in lieu of a stipulation becaus Defendant Jess Lopez is a Defendant in this action who has not filed an answer c 27 || otherwise made an appearance. See LR 7-1(c) (“A stipulation that has been signed b fewer than all the parties or their attorneys will be treated—and must be filed—as a joir 28 || motion).
2 Pursuant to LR 5-1 and FRCP 5(b), I hereby certify that I am an □□□□□□□□ 3 || PRINCE LAW GROUP and that on the 24th day of February, 2023, I electronical 4 filed the foregoing document entitled JOINT MOTION TO CONTINUE HEARIN¢ 5 ON PLAINTIFF’S MOTION TO COMPEL (ECF No. 50) AND DEFENDANT LOY. 6 INSURANCE COMPANY’S MOTION FOR PROTECTIVE ORDER (ECF No. 51
7 with the Clerk of the Court using the CM/ECF system, which sent a notice of electron: filing to the following: 8 M. Bradley Johnson g || Kristopher T. Zeppenfeld KRAVITZ, SCHNITZER & JOHNSON 10 8985 S. Eastern Avenue, Suite 200 Las Vegas, Nevada 89123 11 ||'Tel: (702) 322-4126 Fax: (702) 362-2203 12 || Attorneys for Defendant Loya Insurance Company 13 Pursuant to LR 5-1 and FRCP 5(b), I hereby certify that I also served the foregoin 14 documents via First-Class United States Mail to the following address: 15 Jess Lopez 16 || 8744 Raindrop Canyon Las Vegas, Nevada 89129 17 18 19 /s/ Kevin T. Strong 20 An Employee of Prince Law Group ORDER 22 Having reviewed the parties’ joint motion [ECF No. 69], the Court finds good cause to grant it. Accordingly, IT IS HEREBY ORDERED that the motions hearing scheduled for March 2, 2023 23 || is VACATED and RESET to Monday, March 20, 2023 at 10:00 a.m. in Courtroom 3A. 24 DATED this 27th day of February, 2023. 25 >
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