Snyder et al v. Acord Corporation et al, No. 1:2014cv01736 - Document 336 (D. Colo. 2014)

Court Description: ORDER granting 335 Agreed Motion to Enter Briefing Schedule by Judge John L. Kane on 10/02/14.(jhawk, )

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Snyder et al v. Acord Corporation et al Doc. 336 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO CIVIL ACTION NO.: 1:14-cv-01736-JLK DALE SNYDER, et al., individually, and on behalf of all others similarly situated, Plaintiffs, v. ACORD CORPORATION, a Delaware non-profit corporation, et al. Defendants. ORDER GRANTING AGREED MOTION TO ENTER BRIEFING SCHEDULE Kane, J. BEFORE THE COURT is an Agreed Motion to Enter Schedule, filed by the Plaintiffs, ECF Docket No.: 335. No objections have been filed. The Court has reviewed the Motion, including the statements and suggestions contained therein, the file, the record, the representations of the parties, and the underlying agreement. Having done so, the Court finds that an entry of such a schedule is warranted. Accordingly, IT IS ORDERED: 1. That the Agreed Motion to Enter Schedule, ECF Docket No.: 335, is GRANTED. 2. The agreed briefing schedule is ENTERED, expressly reserving the right of any party to request additional time. Dockets.Justia.com BRIEFING SCHEDULE AGREEMENT 1. The represented parties have agreed to the following briefing schedule, while expressly reserving the right to request additional time, as further stated herein: a. October 13, 2014 will serve as the date for filing of Second Amended Complaint; b. November 25, 2014 will serve as the date for the filing of Defendants' Responsive Pleadings/Motions to Dismiss;1 c. (If Motions to Dismiss filed) January 9, 2015 will serve as the date for filing Plaintiffs' Opposition to Motions to Dismiss;2 d. February 20, 2015 will serve as the date for filing of any Defendants' Reply In Support of Motions to Dismiss.3 2. The parties may seek more time for the submission of briefs after reviewing the Second Amended Class Action Complaint and Jury Demand or any other filings. In this regard, circumstances that may warrant an extension of time include, but are not limited to: a. The nature of the Second Amended Class Action Complaint and Jury Demand, and the degree of deviation it bears to the previously filed Amended Class Action Complaint and Jury Demand. 1 Subject to the provisions of Paragraph 3. Subject to the provisions of Paragraph 3. Subject to the provisions of Paragraph 3. b. The length of the Second Amended Class Action Complaint and Jury Demand. c. The number of motions to dismiss that are filed by the Defendants and their length. (Defendants intend to consolidate the briefing on any motions to the full extent possible.) 3. The agreement is to be interpreted narrowly, and does not prevent further conferral or motion on other issues collateral to the briefing and the scheduling thereof, such as oral argument or sur-reply. DATED this 2nd day of October, 2014. BY THE COURT: s/John L. Kane _______________ Hon. JOHN L. KANE, Senior Judge United States District Court AGREED AND WITNESSED this September 30, 2014 by the Plaintiffs, through undersigned counsel, and by the Defendants served in this action, as represented by the undersigned liaison counsel on the representation of granted authority. s/ Eddie Gene Dougherty Eddie Gene Dougherty Dougherty & HOLLO WAY, LLC 7200 N.W. 86th Street - Suite D Kansas City, Missouri 64153 Telephone: (816) 891-9990 FAX: (816) 891-9905 E-mail: edoughei1y@dh-law.com 3 ATTORNEYS FOR THE PLAINTIFFS -ands/ Randall Hack Randall Hack Locke Lord, LLP Ill South Wacker Drive Chicago, IL 60606 Telephone: (312) 443-0676 FAX: (312) 443-0336 rhack@lockelord. com s/ Bryan Hays Bryan Hays Locke Lord LLP 111 South Wacker Drive Chicago, IL 60606 Telephone: (312) 443-0676 Fax:(312)443-0336 bhays@lockelord.com ATTORNEYS FOR DEFENDANT FARMERS INSURANCE EXCHANGE s/ Tom Johnson Tom Johnson Davis Graham & Stubbs, LLP 1550 17th Street, Suite 500 Denver, CO 80202 Telephone: (303) 892-7487 Fax: 303-893-1379 Tom.j ohnson@dgslaw. com ATTORNEYS FOR DEFENDANT FARMERS INSURANCE EXCHANGE s/ Terence Ridley Terence Ridley 4 Wheeler Trigg O'Donnell, LLP 370 Seventeenth Street, Suite 4500 Denver, CO 80202-5647 Telephone: (303)244-1800 Fax: (303)244-1879 ridley@wtotrial.com ATTORNEYS FOR DEFENDANT FIRST AMERICAN PROPERTY & CASUALTY INSURANCE COMPANY s/ Jon Sands Jon Sands Sweetbaum Sands Anderson, PC 1125 17th Street, #2100 Denver, CO 80202 Telephone: (303) 296-3377 Fax: (303)296-7343 jsands@sweetbaumsands.com ATTORNEYS FOR DEFENDANT STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY s/ Mike Kenny Mike Kenny Alston and Bird One Atlantic Center 1201 West Peachtree Street Atlanta, GA 30309-3424 Telephone: (404) 881-7179 Fax:(404)881-7777 Mike.kenny@alston.com ATTORNEYS FOR DEFENDANT STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY 5 s/ Mark Horning Mark Horning Steptoe & Johnson, LLP 1330 Connecticut Avenue, NW Washington, D.C. 20036 Telephone: (202)429-8126 Fax: (202) 429-3902 mhorning@steptoe. com ATTORNEYS FOR DEFENDANT ACORD CORPORATION 6

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