Filed: Mar. 20, 2018
Latest Update: Mar. 20, 2018
Summary: AMENDED STIPULATION AND ORDER TO EXTEND DEADLINES TO MOTION TO DISMISS [SECOND REQUEST] JAMES C. MAHAN , District Judge . Plaintiff, the Board of Trustees of the Southern Nevada Joint Management and Culinary and Bartenders Training Fund dba Culinary Academy of Las Vegas ("CALV") by and through their undersigned counsel of record, and Defendant, Federal Insurance Company ("Federal") by and through its undersigned counsel of record, hereby stipulate to amend the briefing deadlines in the Cou
Summary: AMENDED STIPULATION AND ORDER TO EXTEND DEADLINES TO MOTION TO DISMISS [SECOND REQUEST] JAMES C. MAHAN , District Judge . Plaintiff, the Board of Trustees of the Southern Nevada Joint Management and Culinary and Bartenders Training Fund dba Culinary Academy of Las Vegas ("CALV") by and through their undersigned counsel of record, and Defendant, Federal Insurance Company ("Federal") by and through its undersigned counsel of record, hereby stipulate to amend the briefing deadlines in the Cour..
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AMENDED STIPULATION AND ORDER TO EXTEND DEADLINES TO MOTION TO DISMISS
[SECOND REQUEST]
JAMES C. MAHAN, District Judge.
Plaintiff, the Board of Trustees of the Southern Nevada Joint Management and Culinary and Bartenders Training Fund dba Culinary Academy of Las Vegas ("CALV") by and through their undersigned counsel of record, and Defendant, Federal Insurance Company ("Federal") by and through its undersigned counsel of record, hereby stipulate to amend the briefing deadlines in the Court's March 15, 2018, Order (ECF No. 35) granting the Stipulation to Extend Deadlines to the Motion to Dismiss, filed on March 13, 2018 (ECF No. 32), and request an order extending the Trust's response deadline from March 21, 2018, to April 4, 2018. The parties also stipulate and request that Federal's reply in support of its Motion to Dismiss be due on April 18, 2018.
CALV's counsel requested this extension based on conflicting court deadlines and hearings. In the interest of professional courtesy, Federal's counsel agreed that a 2-week extension was appropriate. CALV, in turn, extended the same courtesy to Federal to align the briefing schedules for all parties in this matter.
This is the Parties' second request for an extension of the briefing deadline dates. The pending extension request will have no prejudice and is not sought for an improper purpose or delay.
ORDER
IT IS SO ORDERED that CALV'S response to Federal's Motion to Dismiss is due April 4, 2018, and Federal's reply in support to the Motion to Dismiss is due April 18, 2018.