Newport Villa Condominium Owners Association v. Allstate Insurance Company et al, No. 2:2020cv01271 - Document 16 (W.D. Wash. 2021)

Court Description: ORDER granting the parties' 15 Stipulated Motion. Motions related to Discovery due by 7/16/2021, Discovery to be completed by 8/16/2021. Signed by Judge Ricardo S. Martinez. (PM)

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Newport Villa Condominium Owners Association v. Allstate Insurance Company et al Doc. 16 JUDGE RICARDO S. MARTINEZ 1 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE NEWPORT VILLA CONDOMINIUM OWNERS ASSOCIATION, a Washington Non10 Profit Corporation, Plaintiff, 11 v. 12 9 13 ALLSTATE INSURANCE COMPANY, an 14 Illinois Corporation; and DOE INSURANCE COMPANIES 1-10, 15 Defendants. 16 I. 17 18 NO. 2:20-cv-01271-RSM STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED NOTE ON MOTION CALENDAR: JUNE 28, 2021 STIPULATED MOTION Come now, Plaintiff Newport Villa Condominium Owners Association (“Association”) and 19 Defendant Allstate Insurance Company (“Allstate”), by and through their respective counsel, and 20 stipulate to this motion for a continuance of the deadlines for filing motions related to discovery and 21 for discovery to be completed. 22 Counsel for the Association and Allstate have met and conferred and propose an extension 23 of the following deadlines: 24 25 26 Deadline for Filing Motions Related to Discovery Discovery Completed By Current Deadline 07/02/2021 Proposed Deadline 07/16/2021 08/02/2021 08/16/2021 27 STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED - 1 STEIN, SUDWEEKS & STEIN, PLLC 2701 1ST AVE., SUITE 430 SEATTLE, WA 98121 PHONE 206.388.0660 FAX 206.286.2660 Dockets.Justia.com 1 2 II. GOOD CAUSE SHOWN Pursuant to LCR 16(b)(6), a scheduling order may be modified “only for good cause and 3 with the judge’s consent.” Good cause exists here because the parties have agreed to enter into 4 mediation of this matter on July 14, 2021. For purposes of judicial economy, the parties propose 5 that the deadlines for filing motions related to discovery and for discovery to be completed be 6 rescheduled until after the mediation date. No previous extensions of time have been requested or 7 granted by the Court in this matter, and this extension is not made for purposes of delay, but rather 8 to permit the parties additional time in an attempt to resolve this matter amicably without incurring 9 substantial further costs or requiring additional time and resources on behalf of the Court. The 10 parties respectfully request that the Court extend the currently scheduled deadlines as set forth 11 above. A proposed order is included herewith. 12 STEIN, SUDWEEKS & STEIN, PLLC 13 /s/ Jessica R. Burns 14 Jerry H. Stein, WSBA 27721 Justin D. Sudweeks, WSBA 28755 15 Daniel J. Stein, WSBA 48739 Jessica Burns, WSBA 49852 16 2701 First Avenue, Suite 430 Seattle, WA 98121 17 Email: jerry@condodefects.com 18 Email: justin@condodefects.com Email: dstein@condodefects.com 19 Email: jessica@condodefects.com Telephone: (206) 388-0660 20 Facsimile: (206) 286-2660 Attorneys for Plaintiff 21 22 WILSON SMITH COCHRAN DICKERSON 23 /s/ Richard G. Gawlowski Alfred E. Donohue, WSBA 32774 24 Richard G. Gawlowski, WSBA 19713 901 Fifth Avenue, Suite 1700 25 Seattle, WA 98164-2050 26 Phone: (206) 623-4100 27 STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED - 2 STEIN, SUDWEEKS & STEIN, PLLC 2701 1ST AVE., SUITE 430 SEATTLE, WA 98121 PHONE 206.388.0660 FAX 206.286.2660 Email: Donohue@wscd.com Email: gawlowski@wscd.com 2 Attorneys for Defendant 1 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED - 3 STEIN, SUDWEEKS & STEIN, PLLC 2701 1ST AVE., SUITE 430 SEATTLE, WA 98121 PHONE 206.388.0660 FAX 206.286.2660 1 ORDER 2 Based on the above Stipulated Motion, IT IS SO ORDERED that the deadlines for filing 3 motions related to discovery and for discovery to be completed are extended as follows: 4 5 6 Deadline for Filing Motions Related to Discovery Discovery Completed By Current Deadline 07/02/2021 Proposed Deadline 07/16/2021 08/02/2021 08/16/2021 7 8 9 No other deadlines or events are altered. DATED this 30th day of June, 2021. 10 11 A 12 RICARDO S. MARTINEZ CHIEF UNITED STATES DISTRICT JUDGE 13 14 15 16 17 Presented By: 18 STEIN, SUDWEEKS & STEIN, PLLC 19 /s/ Jessica R. Burns Jerry H. Stein, WSBA 27721 20 Justin D. Sudweeks, WSBA 28755 Daniel J. Stein, WSBA 48739 21 Jessica Burns, WSBA 49852 2701 First Avenue, Suite 430 22 Seattle, WA 98121 23 Email: jerry@condodefects.com Email: justin@condodefects.com 24 Email: dstein@condodefects.com Email: jessica@condodefects.com 25 Telephone: (206) 388-0660 Facsimile: (206) 286-2660 26 Attorneys for Plaintiff 27 STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED - 4 STEIN, SUDWEEKS & STEIN, PLLC 2701 1ST AVE., SUITE 430 SEATTLE, WA 98121 PHONE 206.388.0660 FAX 206.286.2660 1 WILSON SMITH COCHRAN DICKERSON 2 /s/ Richard G. Gawlowski 3 Alfred E. Donohue, WSBA 32774 Richard G. Gawlowski, WSBA 19713 4 901 Fifth Avenue, Suite 1700 Seattle, WA 98164-2050 5 Phone: (206) 623-4100 6 Email: Donohue@wscd.com Email: gawlowski@wscd.com 7 Attorneys for Defendant 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED - 5 STEIN, SUDWEEKS & STEIN, PLLC 2701 1ST AVE., SUITE 430 SEATTLE, WA 98121 PHONE 206.388.0660 FAX 206.286.2660 1 2 3 CERTIFICATE OF SERVICE I hereby certify that on June 28, 2021 a copy of the foregoing Document and this Certificate of Service were served on counsel below as noted: 4 Attorneys for Allstate Insurance Company: 5 Alfred E. Donohue Richard G. Gawlowski 6 Wilson Smith Cochran Dickerson 7 901 Fifth Avenue, Suite 1700 Seattle, WA 98164-2050 8 Phone: (206) 623-4100 Email: 9 Donohue@wscd.com; gawlowski@wscd.com; 10 obrien@wscd.com; 11 strelyuk@wscd.com; ossenkop@wscd.com; 12 mcneill@wscd.com 13 via US Mail via Legal Messenger via CM/ECF via E-Mail I declare under penalty of perjury under the laws of the United States that the 14 foregoing is true and correct. SIGNED this 28th day of June, 2021 at Seattle, Washington. 15 16 17 18 19 /s/ Banjugu Nyangado Banjugu Nyangado Stein, Sudweeks & Stein, PLLC 2701 First Avenue, Suite 430 Seattle, WA 98121 Phone: (206) 388-0660 Email:temp@condodefects.com 20 21 22 23 24 25 26 27 STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE FOR FILING MOTIONS RELATED TO DISCOVERY AND DEADLINE FOR DISCOVERY TO BE COMPLETED - 6 STEIN, SUDWEEKS & STEIN, PLLC 2701 1ST AVE., SUITE 430 SEATTLE, WA 98121 PHONE 206.388.0660 FAX 206.286.2660

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