ROAQUE v. Walmart, Inc., No. 2:2022cv01979 - Document 12 (D. Nev. 2023)

Court Description: ORDER granting 11 Stipulation TO EXTEND DISCOVERY PLAN AND SCHEDULING ORDER (SECOND REQUEST). Motions due by 3/5/2024. Signed by Magistrate Judge Brenda Weksler on 12/7/2023. (Copies have been distributed pursuant to the NEF - CAH)

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ROAQUE v. Walmart, Inc. 1 2 3 4 5 6 7 8 Doc. 12 HALL & EVANS, LLC KURT R. BONDS, ESQ. Nevada Bar No. 6228 MADISON M. AGUIRRE, ESQ. Nevada Bar No. 16183 TANYA M. FRASER, ESQ. Nevada Bar No. 13872 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 nvefile@hallevans.com Attorneys for Defendants 9 UNITED STATES DISTRICT COURT 10 11 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 HALL & EVANS, LLC 12 FOR THE DISTRICT OF NEVADA MELINDA ROAQUE, an individual, Plaintiff, 13 14 15 16 17 18 19 20 21 Case No.: 2:22-cv-01979-JCM-BNW vs. STIPULATION TO EXTEND DISCOVERY PLAN AND SCHEDULING ORDER (SECOND REQUEST) WALMART, INC., a foreign corporation; DOE MANAGERS I through X; DOE MAINTENANCE and/or INSPECTION EMPLOYEES or AGENTS I through X; DOES I through XX; ROE PROPERTY MANAGEMENT ENTITIES I through X; ROE MAINTENANCE and/or INSPECTION ENTITIES I through X; and ROE CORPORATIONS and/or ENTITIES I through XX, inclusive, Defendants. 22 23 IT IS HEREBY STIPULATED by and between the parties hereto, by and through their 24 respective counsel, that the deadlines remaining in this case shall be extended in this matter as 25 described herein. 26 I. Discovery Completed 27 Plaintiff has served the following discovery to date: 28 1. Plaintiff’s Initial List of Witnesses and Documents Produced Pursuant to FRCP 26(a), 1 KRB/20147-60 Dockets.Justia.com served on February 8, 2023. 1 2. Plaintiff’s First Supplement to Initial List of Witnesses and Documents, served on 2 February 22, 2023. 3 3. Plaintiff’s Second Supplement to Initial List of Witnesses and Documents Produced 4 Pursuant to FRCP 26(a), served on February 27, 2023. 5 4. Plaintiff’s Third Supplement to Initial List of Witnesses and Documents Produced 6 Pursuant to FRCP 26(a), served on March 9, 2023. 7 5. Plaintiff’s First Set of Interrogatories, Requests for Admissions, and Requests for 8 Production of Documents, served on March 15, 2023. 9 6. Plaintiff’s Fourth Supplement to Initial List of Witnesses and Documents Produced 10 Pursuant to FRCP 26(a), served on April 24, 2023. 11 7. Plaintiff’s Fifth Supplement to Initial List of Witnesses and Documents Produced 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 HALL & EVANS, LLC 12 Pursuant to FRCP 26(a), served on May 17, 2023. 13 14 8. Plaintiff’s Designation of Expert Witnesses, served on June 7, 2023. 15 9. Plaintiff’s Sixth Supplement to Initial List of Witnesses and Documents Produced Pursuant to FRCP 26(a), served July 10, 2023. 16 17 10. Plaintiff’s Notice of Taking the Deposition of the Knowledgeable Person(s) of 18 Walmart, Inc, Pursuant to FRCP 30(b)(6) via Videoconference, served on July 12, 19 2023. 11. Plaintiff’s Seventh Supplement to Initial List of Witnesses and Documents Produced 20 Pursuant to FRCP 26(a), served July 24, 2023. 21 12. Plaintiff’s Eighth Supplement to Initial List of Witnesses and Documents Produced 22 Pursuant to FRCP 26(a), served on August 29, 2023. 23 13. Plaintiff’s First Supplement to Designation of Expert Witnesses, served November 3, 24 2023 25 14. 30(b)(6) Deposition of Defendant’s Person Most Knowledgeable, Raymond Hope, 26 taken November 19, 2023 27 28 ... 2 KRB/20147-60 1 Defendant Has Served the following discovery to date: 2 1. Defendant Walmart Inc.’s Initial Disclosure of Witness Statements and Documents, served on February 22, 2023. 3 4 2. Defendant Walmart Inc.’s Responses to Plaintiff’s First Set of Interrogatories, 5 Requests for Admissions, and Requests for Production of Documents, served on May 6 5, 2023. 3. Defendant Walmart Inc.’s First Supplement to Disclosure of Witness Statements and 7 Documents, served on May 5, 2023. 8 4. Defendant Walmart Inc.’s Initial FRCP 26(a)(2) Disclosure of Expert Witnesses, 9 served on June 8, 2023. 10 5. Defendant Walmart Inc.’s FRCP 26 Second Supplement to Disclosure of Witness 11 Statements and Documents, served on June 8, 2023. 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 HALL & EVANS, LLC 12 6. Defendant Walmart Inc.’s Notice of Taking the Deposition of Plaintiff Melinda 13 Roaque, served on July 6, 2023. 14 7. Defendant Walmart Inc.’s First Set of Interrogatories, Requests for Production of 15 Documents, and Requests for Admissions to Plaintiff, served on July 6, 2023. 16 8. Defendant Walmart Inc.’s Amended Notice of Taking the Deposition of Plaintiff 17 Melinda Roaque, served on July 11, 2023. 18 9. Defendant Walmart Inc.’s Second Amended Notice of Taking the Deposition of 19 Plaintiff Melinda Roaque, served on July 13, 2023. 20 10. Defendant Walmart Inc.’s Third Amended Notice of Taking the Deposition of 21 Plaintiff Melinda Roaque, served on July 13, 2023. 22 11. Deposition of Plaintiff Melinda Roaque, taken October 18, 2023. 23 24 II. Reasons Why Dispositive Motions and Motions in Limine Cannot Be Completed 25 Within the Time Set by Discovery Plan and Scheduling Order. 26 Good Cause 27 Good cause exists in this case to grant the parties’ requested extension. Although this is 28 the parties’ second request for an extension of the deadlines in this matter, the parties have 3 KRB/20147-60 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 HALL & EVANS, LLC 1 diligently worked to move the case forward and have been working to resolve Plaintiff’s claims 2 prior to trial. The parties are coordinating private mediation of Plaintiff’s claims and anticipate 3 the mediation will occur by early February, depending upon availability of the neutral. An 4 extension of time to accommodate this mediation is requested to avoid costs of further litigation 5 and to avoid unduly burdening this Court’s calendar. Thus, the parties respectfully request that 6 the remaining deadlines in this matter, namely the deadline for dispositive motions and motions 7 in limine, be extended by a period of 90 days as described herein. 8 Furthermore, although LR IA 6-1(a) mandates that requests for extensions be made prior 9 to the relevant deadline, good cause exists for the parties’ delay in seeking this discovery 10 extension, as discussed below. The parties have worked diligently throughout the discovery 11 process to further this matter and now believe the matter may resolve prior to trial. As such, the 12 parties respectfully request that the Court find that good cause exists to grant their requested 13 extension. 14 Excusable Neglect 15 LR IA 6-1(a) mandates that a motion or stipulation to extend a deadline set forth in a 16 discovery plan must be received by the court no later than 21 days before the expiration of the 17 subject deadline. A request made within 21 days of the subject deadline must be supported by a 18 showing of good cause. A request made after the expiration of the subject deadline will not be 19 granted unless the movant also demonstrates that the failure to act was the result of excusable 20 neglect. To determine whether neglect is excusable, four factors must be met: (1) the danger of 21 prejudice to the opposing party; (2) the length of the delay and its potential impact on the 22 proceedings; (3) the reason for the delay; and (4) whether the movant acted in good faith. Victor 23 v. Walmart, Inc., No. 2:20-cv-01591-JCM-NJK, 2021 U.S. Dist. LEXIS 163908, at *10 (D. Nev. 24 Apr. 8, 2021). 25 The current deadline for dispositive motions and motions in limine is December 6, 2023. 26 Because the parties’ request was submitted within 21 days of the December 6, 2023 deadline, the 27 excusable neglect analysis does not apply. Notwithstanding, the parties only recently determined 28 that early resolution may be possible. Both parties are in agreement regarding the requested 4 KRB/20147-60 1 extension, thus neither party will be prejudiced. Further, a trial date has not yet issued. Thus, 2 because no prejudice will arise, any delay in seeking to extend the dispositive motion and 3 motions in limine deadline should be attributed to excusable neglect, if at all. 4 This request to extend discovery deadlines is made in good faith and not for the purposes 5 of delay. The parties have acted in good faith in this matter and good cause exists to extend the 6 deadline for dispositive motions and motions in limine. In conclusion, the parties request that the 7 discovery deadlines be enlarged as stated below. 8 III. 1. Discovery Cut Off: November 6, 2023 10 2. Motions to amend pleadings or add parties: May 9, 2023 11 3. Designation of initial experts: June 8, 2023 12 4. Designation of rebuttal experts: July 10, 2023 13 5. Dispositive Motions / Motions in Limine: December 6, 2023 9 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 HALL & EVANS, LLC Current Discovery Deadlines 14 IV. Proposed Schedule for Completing All Remaining Discovery 15 1. Discovery Cut Off: CLOSED 16 2. Motions to amend pleadings or add parties: CLOSED 17 3. Designation of initial experts: CLOSED 18 4. Designation of rebuttal experts: CLOSED 19 5. Dispositive Motions / Motions in Limine: March 5, 2024 20 ... 21 ... 22 ... 23 ... 24 ... 25 ... 26 ... 27 ... 28 ... 5 KRB/20147-60 1 Based upon the foregoing, the parties respectfully request that this Court grant their 2 request to extend the remaining deadlines as outlined herein. 3 DATED this 6th day of December, 2023. DATED this 6th day of December, 2023. 4 HALL & EVANS, LLC. /s/ Kurt R. Bonds _________________________________ KURT R. BONDS, ESQ. Nevada Bar #6228 TANYA M. FRASER, ESQ. Nevada Bar #13872 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 nvefile@hallevans.com Attorneys for Defendant Walmart, Inc. PATERNOSTER LAW GROUP /s/Glenn A Paternoster __________________________________ GLENN A. PATERNOSTER, ESQ. Nevada Bar No. 5452 300 South 4th Street, Suite 1600 Las Vegas, Nevada 89101 Telephone: (702) 654-1111 Facsimile: (702) 522-1522 glenn@paternosterlaw.com Attorneys for Plaintiff 5 6 7 8 9 10 11 1160 North Town Center Drive Suite 330 Las Vegas, Nevada 89144 (702) 998-1022 HALL & EVANS, LLC 12 13 IT IS SO ORDERED 14 DATED: 10:37 am, December 07, 2023 15 16 17 BRENDA WEKSLER UNITED STATES MAGISTRATE JUDGE 18 19 20 21 22 23 24 25 26 27 28 6 KRB/20147-60

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