Vidal v. Verizon Pension Plan for Associates

CourtDistrict Court, D. Nevada
DecidedMarch 6, 2024
Docket2:22-cv-00274
StatusUnknown

This text of Vidal v. Verizon Pension Plan for Associates (Vidal v. Verizon Pension Plan for Associates) 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
Vidal v. Verizon Pension Plan for Associates, (D. Nev. 2024).

Opinion

2 NOeDvUadNaZ BEa &r N SoW. 9A8N85IG AN ODUNZE PLLC 3 3651 Lindell Road Suite D #142 Las Vegas Nevada 89103 4 Telephone No. 702-943-0305 Facsimile No. 702-943-0233 5 Email: ipo.odunzeswanigalaw@gmail.com Attorneys for Plaintiffs 6 MICHAEL A. VIDAL and 7 ESTATE OF EVA RAMOS (through its Administrator 8 JESSICA CLEMENTE)

9 UNITED STATES DISTRICT COURT 10

11 DISTRICT OF NEVADA

12 MICHAEL A. VIDAL, an individual, et al. ) CASE NO.: 2:22-cv-00274-ART-BNW ) 13 Plaintiffs, ) UNOPPOSED vs. ) 14 PLAINTIFFS’ MICHAEL A. VIDAL AND ) ESTATE OF EVA RAMOS (THROUGH 15 VERIZON PENSION PLAN FOR ) ITS ADMINISTRATOR JESSICA ASSOCIATES, ((Plan No. 16), an entity under ) CLEMENTE) UNOPPOSED MOTION TO 16 ERISA)), et al. ) EXTEND ALL DISCOVERY DEADLINES 17 ) FED. R. CIV. P. 6(B), LR IA 6-2 & LR 26-3 Defendants. ) RELIEF ON ORDER SHORTENING 18 ) TIME ) 19 ) (FIFTH REQUEST) 20 )

21 COMES NOW Plaintiffs MICHAEL VIDAL and the ESTATE OF EVA RAMOS 22 23 (through its Administrator JESSICA CLEMENTE) by and through the law office of ODUNZE 24 PLLC and its attorney IKENNA ODUNZE, ESQ. and pursuant to LR IA 6-2, LR 26-3, LR 26-6, 25 Fed. R. Civ. P. 6 and any other applicable rule (that is favorable to the Plaintiffs) submit this 26 UNOPPOSED motion (“Motion”) for an approximately two month/60-day extension. This is a 27 28 2 came prior to the hearing of motions to dismiss). 3 This Motion is based upon the papers (including but not limited to the below declaration) 4 and any favorable pleadings on file herein, the attached memorandum of points and authorities, 5 and any argument favorable to the Plaintiffs which the Court may entertain in its review or 6 7 hearing thereon. 8 DATED this 5th day of March 2024. 9 ODUNZE PLLC 10 11 /s/Ikenna Odunze/ ____ Ikenna Odunze, Esq. 12 ODUNZE & SWANIGAN ODUNZE PLLC 13 3651 Lindell Road Suite D #142 Las Vegas Nevada 89103 14 Telephone No. 702-943-0305 15 Facsimile No. 702-943-0233 Attorneys for Plaintiffs 16 MICHAEL A. VIDAL and ESTATE OF EVA RAMOS 17 (through its Administrator 18 JESSICA CLEMENTE)

28 CERTIFICATION AND DECLARATION IN SUPPORT OF ORDER SHORTENING 2 I, IKENNA ODUNZE pursuant 28 U.S.C.§1746 declare that: 3 1. I am above the age of eighteen years, and I am competent to testify and attest to the 4 5 matters set forth in this declaration and I have personal knowledge of the matters set forth 6 herein, that the same are true (and accurate) to the best of my own knowledge except for 7 those matters therein stated on information and belief, and as for those matters I believe 8 them to be true (and accurate). 9 2. My name is Ikenna Odunze. 10 11 3. I am the attorney of record for the above captioned named Plaintiffs in the above 12 captioned matter, Case No.: 2:22-cv-00274-ART-BNW (hereinafter referred to as the 13 “Case”). 14 4. I filed the enclosed motion to extend (hereinafter referred to as the “Motion”) all the 15 discovery deadlines by approximately two months or approximately 60-days (or as close 16 17 60-days as possible). 18 5. I first requested the Defendants for the referenced extension on February 11, 2024. 19 6. On February 19, 2024, a meet-and-confer telephone conference (wherein defendants’ 20 counsel and I conferred) was held to discuss extension request and discovery. Attorney 21 Hollihan, Esq. and I participated in the aforesaid meet-and-confer and then Attorney 22 23 Edward Perrin and I participated in a separate meet-and-confer. 24 7. The Defendant attorneys stated that as a matter of professional courtesy the Defendants 25 do not oppose the Plaintiffs’ requested two-month extension. I mentioned that I would 26 include such verbiage within this motion. 27 28 8. The Defendants’ counsel mentioned that they would not oppose the extension request 2 9. I (Plaintiffs’ counsel have been undergoing an incredibly painful lower body condition 3 which is being assessed by physicians) that has overlapped with the preceding and 4 ongoing discovery time and makes it difficult to walk, stand, sit, ambulate etc. and is one 5 of the concurrent reasons for the referenced request for extension as the condition makes 6 7 all matters and task require more time). The condition was unexpected, unanticipated 8 and outside of the parties and plaintiffs’ counsel’s control. 9 10. The 21-day cut off for nearest cut-off is today and that is good cause to grant the enclosed 10 motion on order shortening time, amongst the reasons and factors discussed in the 11 motion. 12 13 11. The enclosed motion is not filed for the purpose of delay. 14 12. The factual statements preceding this declaration are true and accurate. 15 13. I declare and state under penalty of perjury that the foregoing is true and correct. 16 14. I submit the foregoing declaration pursuant to 28 U.S.C.§1746. 17 18 FURTHER YOUR DECLARANT SAYETH NAUGHT 19 Executed on ___ 03/05/2024 _____ ______/s/Ikenna Odunze, Esq._________ (DATE) Signature IKENNA ODUNZE, ESQ 20 21

22 POINTS AND AUTHORITIES 23 I. INTRODUCTION & PROCEDURAL HISTORY 24 The instant action (hereinafter referred to as the “Action” or the “instant Action”) 25 concerns a multiparty ERISA litigation wherein ERISA 29 U.S.C. § 1132(a)(3) make-whole and 26 equitable surcharge relief are requested by the Plaintiffs for breaches of fiduciary duty 27 amounting to statutory violations of ERISA that are actionable under 29 U.S.C. § 1132(a)(3). 28 2 right on February 18, 2022. The Complaint was amended March 8, 2022 (again, hereinafter 3 referred to as “Second Amended Complaint” or “SAC” or “last operative complaint”), See 4 Docket No. 10 through10-6. Seven appearing defendants (hereinafter referred to as the “Verizon 5 Defendants”) filed a motion to dismiss at ECF No. 42 (hereinafter referred to as the “Verizon 6 7 MTD”) on June 17, 2022 while the another four appearing defendants (hereinafter referred to as 8 the “Conduent Defendants”) filed their own motion to dismiss at ECF No. 44 (hereinafter 9 referred to as the “Conduent MTD”) on the same day. The Defendants’ motions to dismiss were 10 opposed by the Plaintiffs. The Plaintiffs also filed motions for leave to amend. Defendant 11 Patricia subsequently appeared in this case at beginning of last year and requested a dismissal on 12 13 January 31, 2023, which the Plaintiffs filed an oppositions to. A scheduling order was issued on 14 September 13, 2022. See ECF No. 92. 15 A previous extension (the first request) of all discovery deadlines was requested by the 16 Plaintiffs around April 6, 2023 and was GRANTED by Court on May 1, 2023. 17 18 On April 27, 2023 the Plaintiffs filed a motion for leave to amend with an attached 19 proposed third amended complaint (PCOMP) which was GRANTED on May 25, 2023. 20 On May 25, 2023 and May 26, 2023 the Court said the Third Amended Complaint was 21 the operative complaint and should be published on to the docket. 22 On June 8, 2022 the Verizon Defendants answered the Third Amended Complaint. 23 24 On June 17, 2023 the Third Amended Complaint was published on to the Docket. 25 On June 22, 2025 the Conduent Defendants answered the Third Amended Complaint. 26 The Court granted an extension in ECF No. 127 and since that date voluminous 27 (thousands of pages) of records have been assessed. 28 2 were exchange in preceding months of this year and thousand of pages of records (and 3 documents) have been assessed in discovery period preceding today.

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Bluebook (online)
Vidal v. Verizon Pension Plan for Associates, Counsel Stack Legal Research, https://law.counselstack.com/opinion/vidal-v-verizon-pension-plan-for-associates-nvd-2024.