Jones v. Hartford Ins. Co., 8:19-cv-254. (2020)
Court: District Court, D. Nebraska
Number: infdco20200129d35
Visitors: 22
Filed: Jan. 27, 2020
Latest Update: Jan. 27, 2020
Summary: JOINTLY STIPULATED STAY OF PROGRESSION ORDER PENDING MEDIATION ROBERT F. ROSSITER, JR. , District Judge . The parties, through their counsel of record, jointly stipulate to stay all remaining deadlines in the Progression Order (Doc. # 18) pending the outcome of mediation. In support, the parties state that they are currently working together to schedule and conduct a mediation. A stay on pending deadlines in the Progression Order is necessary to allow the parties to work together to find a
Summary: JOINTLY STIPULATED STAY OF PROGRESSION ORDER PENDING MEDIATION ROBERT F. ROSSITER, JR. , District Judge . The parties, through their counsel of record, jointly stipulate to stay all remaining deadlines in the Progression Order (Doc. # 18) pending the outcome of mediation. In support, the parties state that they are currently working together to schedule and conduct a mediation. A stay on pending deadlines in the Progression Order is necessary to allow the parties to work together to find a r..
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JOINTLY STIPULATED STAY OF PROGRESSION ORDER PENDING MEDIATION
ROBERT F. ROSSITER, JR., District Judge.
The parties, through their counsel of record, jointly stipulate to stay all remaining deadlines in the Progression Order (Doc. # 18) pending the outcome of mediation. In support, the parties state that they are currently working together to schedule and conduct a mediation. A stay on pending deadlines in the Progression Order is necessary to allow the parties to work together to find a resolution, without incurring the time and expense of written discovery, depositions, and experts. The parties agree to immediately inform the Court when they select a mediation date and also will immediately inform the Court of the result of mediation. If mediation is unsuccessful, the parties agree that all deadlines in the Progression Order shall be extended by a mutually agreed upon period of time.
Dated this 27th day of January, 2020
THE HARTFORD INSURANCE COMPANY AND
SENTINEL INSURANCE COMPANY,
LTD, Defendants,
By: /s/ Nicholas K. Rudman
Nicholas K. Rudman (NE# 25182)
Spencer R. Murphy (NE# 26081)
of BAIRD HOLM LLP
1700 Farnam St
Suite 1500
Omaha, NE 68102-2068
Phone: 402-344-0500
Facsimile: 402-344-0588
nrudman@bairdholm.com
smurphy@bairdholm.com
and
MICHAEL JONES AND DEBRA JONES,
Plaintiffs,
By: /s/ David A. Houghton
David A. Houghton
of: Houghton Bradford Whitted PC, LLO
6457 Frances St, Suite 100
Omaha, NE 68106
402-344-4000
dahoughton@houghtonbradford.com
Source: Leagle