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Hilan v. Mission Ridge Homeowners Association, 2:18-cv-00206-RFB-PAL. (2018)

Court: District Court, D. Nevada Number: infdco20180619b27 Visitors: 9
Filed: Jun. 18, 2018
Latest Update: Jun. 18, 2018
Summary: STIPULATION AND ORDER TO EXTEND TIME TO COMPLETE DISCOVERY PURSUANT TO LR 26-4 (First Request) PEGGY A. LEEN , Magistrate Judge . Pursuant to Local Rule 26-4, Rule 6 and Rule 16 of the Federal Rules of Civil Procedure, the parties, by and through their respective counsel of record, and for good cause, hereby stipulate to extend the remaining discovery deadlines in the above-entitled matter by one-hundred twenty (120) days. This is the parties' first request. The parties state the following
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STIPULATION AND ORDER TO EXTEND TIME TO COMPLETE DISCOVERY PURSUANT TO LR 26-4

(First Request)

Pursuant to Local Rule 26-4, Rule 6 and Rule 16 of the Federal Rules of Civil Procedure, the parties, by and through their respective counsel of record, and for good cause, hereby stipulate to extend the remaining discovery deadlines in the above-entitled matter by one-hundred twenty (120) days. This is the parties' first request. The parties state the following:

1. STATEMENT SPECIFYING DISCOVERY COMPLETED:

Defendant's Initial Disclosures Pursuant to Rule 26(a)(1) 3/15/2018 Mission Ridge Plaintiff's Initial Disclosures Pursuant to Rule 26(a)(1) 5/10/2018 Hilan First Set of Requests for Admission to Plaintiff 4/20/2018 Mission Ridge First Set of Interrogatories to Plaintiff 4/20/2018 Mission Ridge First Set of Requests for Production of Documents to 4/20/2018 Mission Ridge Plaintiff Plaintiff's responses to Defendant's First set of Requests for 5/14/2018 Hilan Admission

2. SPECIFIC DESCRIPTION OF DISCOVERY THAT NEEDS TO BE COMPLETED:

Independent gathering of Plaintiff's medical records and bills from Plaintiff's medical providers and health insurer (once the medical authorizations are received back from Plaintiff); Plaintiff's responses to Defendant's Interrogatories and Request for Production; The deposition of Plaintiff; The deposition of Plaintiff's wife; The deposition of any 30(b)(6) witness(es); The deposition of the parties' experts; The deposition of percipient witnesses; The deposition of Plaintiff's treating physicians; Retention and disclosure of expert witnesses.

3. THE REASON WHY THE DEADLINE WILL LIKELY NOT BE SATISFIED:

Currently, no discovery deadline has passed. However, the initial expert disclosure deadline of June 29, 2018, is quickly approaching. At this time, the parties are working on retaining their initial experts, but believe that they will need additional time for their experts to complete their reports and to disclose such experts.

4. PROPOSED SCHEDULE FOR COMPLETING DISCOVERY:

Scheduled Event Current Deadline Proposed Deadline Discovery Deadline August 28, 2018 December 28, 2018 Amending the Pleadings May 30, 2018 May 30, 2018 Initial Experts June 29, 2018 October 29, 2018 Rebuttal Experts July 29, 2018 November 28, 2018 Interim Status Report June 29, 2018 October 29, 2018 Dispositive Motions September 26, 2018 January 28, 2019

ORDER

IT IS SO ORDERED.

Source:  Leagle

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