HOWARD D. McKIBBEN, District Judge.
Plaintiff/Counter-Defendant Rockhill Insurance Company ("Rockhill") and Defendant CSAA Insurance Exchange d/b/a AAA Insurance Exchange ("CSAA"), by and through their undersigned counsel and pursuant to LR IA 6-1, stipulate and request that the Court order as follows:
Rockhill and CSAA, by and through their undersigned counsel and pursuant to LR IA 6-1, stipulate and request that the Court order that 1) Defendant CSAA may have until and including July 3, 2019 by which to file its Opposition to, and that 2) Plaintiff Rockhill have until and including July 29, 2019 by which to file its Reply in support of, Rockhill's Motion for Summary Judgment on Rockhill's Amended Complaint. Rockhill's Motion for Summary Judgment was filed on June 6, 2019. Without the foregoing extension, CSAA's Response is due on June 27, 2019, and Rockhill's Reply is due on July 11, 2019. This is the first stipulation for an extension of time to file responsive pleadings related to Rockhill's Motion for Summary Judgment.
Rockhill and CSAA, by and through their undersigned counsel and pursuant to LR IA 6-1, further stipulate and request that the Court order that 1) Plaintiff Rockhill may have until and including July 3, 2019 by which to file its Opposition to, and that 2) Defendant CSAA have until and including July 29, 2019 by which to file its Reply in support of, CSAA's Motion for Summary Judgment or Partial Summary Judgment on Rockhill's Amended Complaint. CSAA's Motion for Summary Judgment or Partial Summary Judgment was filed on June 7, 2019. Without the foregoing extension, Plaintiff Rockhill's Response would be due on June 28, 2019, and Defendant CSAA's Reply is due on July 12, 2019. This is the first stipulation for an extension of time to file responsive pleadings related to CSAA's Motion for Summary Judgment or Partial Summary Judgment.
Rockhill and CSAA, by and through their undersigned counsel and pursuant to LR IA 6-1, further stipulate and request that the Court order that 1) Defendant CSAA may have until and including July 8, 2019 by which to file its Opposition to, and that 2) Plaintiff Rockhill have until and including July 17, 2019 by which to file its Reply in support of, Rockhill's Motion to Strike the Affidavit of CSAA's Retained Expert Jeffrey W. Stempel. Rockhill's Motion to Strike the Affidavit of CSAA's Retained Expert Jeffrey W. Stempel was filed on June 12, 2019. Defendant CSAA's Response is presently due on June 26, 2019. Plaintiff Rockhill's Reply is presently due on July 3, 2019. This is the first stipulation for an extension of time to file responsive pleadings related to Rockhill's Motion to Strike the Affidavit of CSAA's Retained Expert Jeffrey W. Stempel.
This case is not presently scheduled for trial, such that the extensions of the briefing schedules will not impact any trial date. The parties have requested additional time within which to file their responsive pleadings to avoid the concentration of nearly overlapping deadlines, and to align the deadlines for the competing Motions for Summary Judgment. Additionally, counsel for Plaintiff, who are principally responsible for drafting its Reply in Support of Motion for Summary Judgment on Rockhill's Amended Complaint and its Reply in Support of its Motion to Strike the Affidavit of CSAA's Retained Expert Jeffrey W. Stempel are scheduled to be out of the office during the weeks of July 1-5, 2019 and July 8-12, 2019.
WHEREFORE, the parties stipulate and request that the Court order that the parties may extend their deadlines as specified above and summarized below.
IT IS SO ORDERED.