Filed: May 08, 2019
Latest Update: May 08, 2019
Summary: STIPULATION AND ORDER FOR EXTENSION OF DATE FOR PRODUCTION OF CERTAIN DOCUMENTS CAM FERENBACH , Magistrate Judge . COMES NOW, Centex Homes ("Centex") and Lexington Insurance Company ("Lexington")(collectively, "Parties") and hereby submit the following stipulation for approval by the Court. Whereas, pursuant to the Court's Order, Centex provided Lexington with six (6) additional insured claim file numbers, including claim file no. 4680176110US, which Lexington was to produce by May 10, 201
Summary: STIPULATION AND ORDER FOR EXTENSION OF DATE FOR PRODUCTION OF CERTAIN DOCUMENTS CAM FERENBACH , Magistrate Judge . COMES NOW, Centex Homes ("Centex") and Lexington Insurance Company ("Lexington")(collectively, "Parties") and hereby submit the following stipulation for approval by the Court. Whereas, pursuant to the Court's Order, Centex provided Lexington with six (6) additional insured claim file numbers, including claim file no. 4680176110US, which Lexington was to produce by May 10, 2019..
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STIPULATION AND ORDER FOR EXTENSION OF DATE FOR PRODUCTION OF CERTAIN DOCUMENTS
CAM FERENBACH, Magistrate Judge.
COMES NOW, Centex Homes ("Centex") and Lexington Insurance Company ("Lexington")(collectively, "Parties") and hereby submit the following stipulation for approval by the Court.
Whereas, pursuant to the Court's Order, Centex provided Lexington with six (6) additional insured claim file numbers, including claim file no. 4680176110US, which Lexington was to produce by May 10, 2019.
Whereupon Lexington was preparing the production of the claim file documents and discovered that one of the claim file numbers provided by Centex, claim file no. 4680176110US was incorrect and should be claim file no. 1093151941US, and whereby Centex similarly agreed that the claim number was incorrect.
The Parties have agreed that Lexington may have one additional week, up to and including May 17, 2019 to produce the non-privileged portions of claim file no. 1093151941US and, if necessary, any privilege log to Centex.
MORAN BRANDON PAYNE & FEARS
BENDAVID MORAN
/s/ Stephanie J. Smith, Esq. /s/ Sarah J. Odia, Esq.
_____________________________________ _________________________________
JEFFERY A. BENDAVID, ESQ. SCOTT S. THOMAS, ESQ.
Nevada Bar No. 6220 Nevada Bar No. 7937
STEPHANIE J. SMITH, ESQ. SARAH J. ODIA, ESQ.
Nevada Bar No. 11280 Nevada Bar No. 11053
630 South 4th Street 6385 S. Rainbow Blvd., Suite 220
Las Vegas, Nevada 89101 Las Vegas, Nevada, 89118
(702) 384-8424 (702) 851-0300
Attorneys for Centex Homes
KAUFMAN DOLOWICH VOLUCK
/s/Christine Magarian, Esq.
____________________________________________
CHRISTINE MAGARIAN, ESQ.
(Pro Hac Vice)
11755 Wilshire Blvd., Suite 2400
Los Angeles, CA 90025
Attorneys for Defendant Lexington
Insurance Company and Third Party
Defendant New Hampshire Insurance
Company
ORDER
IT IS SO ORDERED that Lexington may have up to and including May 17, 2019 to produce documents, and if necessary, a privilege log related to claim file no. 1093151941US.