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Atwell v. Westgate Resorts, Inc., 2:15-cv-02122-RFB-PAL. (2018)

Court: District Court, D. Nevada Number: infdco20180823e74 Visitors: 10
Filed: Aug. 21, 2018
Latest Update: Aug. 21, 2018
Summary: STIPULATION AND ORDER SETTING BRIEFING SCHEDULE AND WITHDRAWING AUTHENTICATION OBJECTIONS RICHARD F. BOULWARE, II , District Judge . Plaintiffs Heather Atwell, Heather Atwell as Trustee of Atwell Family Trust, Heather Atwell as Administrator of the Estate of David Atwell, and Resort Properties of America, Inc. (hereinafter "Plaintiffs"), by and through their counsel of record Kirk B. Lenhard, Esq., Adam K. Bult, Esq., and Travis F. Chance, Esq., of the law firm of Brownstein Hyatt Farber Sc
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STIPULATION AND ORDER SETTING BRIEFING SCHEDULE AND WITHDRAWING AUTHENTICATION OBJECTIONS

Plaintiffs Heather Atwell, Heather Atwell as Trustee of Atwell Family Trust, Heather Atwell as Administrator of the Estate of David Atwell, and Resort Properties of America, Inc. (hereinafter "Plaintiffs"), by and through their counsel of record Kirk B. Lenhard, Esq., Adam K. Bult, Esq., and Travis F. Chance, Esq., of the law firm of Brownstein Hyatt Farber Schreck, LLP, and Defendants Westgate Resorts, Inc., Westgate Resorts Ltd., Central Florida Investments, Inc., and Westgate Las Vegas Resort, LLC (hereinafter "Defendants"), by and through their counsel of record Michael E. Marder, Esq., James H. Turken, Esq., Brian R. Cummings, Esq., and Vincent Aiello, Esq., of the law firm of Greenspoon Marder LLP, hereby stipulate and agree as follows:

Non-Party witness Mayur Shetty has confirmed through counsel for Defendants that he is available for deposition in Miami, Florida, on August 23, 2018, and Plaintiffs have coordinated and noticed the deposition of Mr. Shetty at the Miami, Florida, offices of Greenspoon Marder LLP on August 23, 2018 at 10:00 A.M. EST.

The Parties further stipulate and agree that pursuant to the Court's directive at calendar call on August 14, 2018, should Mr. Shetty fail to show for his deposition, Plaintiffs will have until August 31, 2018 to file a motion with the court related to that failure. Defendants will have until September 10, 2018 to file a response to any such motion. Plaintiffs will forego the filing of a reply brief to expedite a hearing on the motion.

The Parties further stipulate and agree that Defendants have withdrawn their authenticity objections to Plaintiffs' Proposed Exhibits 1, 3, 5-8, 10-12, 14-17, and 19-39, as set forth in the Joint Pretrial Memorandum and Order, ECF No. 86, and in their Omnibus Motion in Limine, ECF No. 87, without waiver of other objections to those exhibits.

The Parties further stipulate and agree that Plaintiffs have withdrawn their authenticity objections to Defendants' Proposed Exhibits 1-4, as set forth in the Joint Pretrial Memorandum and Order, ECF No. 86, and in their Omnibus Motion in Limine, ECF No. 85, without waiver of other objections to those exhibits.

ORDER

IT IS SO ORDERED.

Source:  Leagle

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