United States District Court, D. Nevada
EDWARD S. HALLEY, individually; and FLAGSHIP EXPRESS AIRLINES, Inc., an Illinois Corporation, Plaintiffs,
WILLIAM ACOR, individually; RBY, INC.; a Nevada Corporation; VISION AIRLINES, INC.; a Nevada Corporation; and VISION AVIATION HOLDINGS, INC., a Nevada Corporation, Defendants.
ALDRICH LAW FIRM, LTD., John P. Aldrich John P. Aldrich,
Michael R. Konewko ARDC#3121878 KONEWKO & ASSOCIATES,
LTD. Attorneys for Plaintiffs
HULET PLLC, Kenneth E. Hogan Nevada Bar No. 10083, Jeffrey L.
Hulet Nevada Bar No. 10621 Attorneys for Defendants
STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINES
HOFFMAN, JR., UNITED STATES MAGISTRATE JUDGE
to LR 6-1 and LR 26-4, the parties, by and through their
respective counsel of record, hereby stipulate and request
that this Court extend discovery in the above-captioned case
ninety (90) days, up to and including May 14, 2018. In
addition, the parties request that the rebuttal expert and
dispositive motions and pretrial order deadlines be extended
for an additional ninety (90) days as outlined herein. This
is the second request to extend these deadlines; Defendants
previously moved for and received a brief 20-day extension of
the discovery deadlines.
support of this Stipulation and Request, the parties state as
February 20, 2017, this action was commenced by the filing of
a Complaint in the United States District Court, District of
April 27, 2017, Defendants Vision Airlines, Inc. and Vision
Aviation Holdings, Inc. filed their Answer to Plaintiffs'
Complaint and Counterclaim.
May 24, 2017, Plaintiffs/Counterdefendants Edward S. Halley
and Flagship Express Airlines, Inc. filed their Answer to
June 22, 2017, a Discovery Plan and Scheduling Order was
July 18, 2017, Defendants RBY, Inc. and William Acor filed
their Answer to Plaintiffs' Complaint and Counterclaim.
September 11, 2017, Plaintiffs served Interrogatories and
Requests for Production of Documents on each of the
Defendants. Defendants served their responses to Plaintiff on
November 6, 2017.
November 22, 2017, Defendants filed a Motion to Amend
Scheduling Order. That Motion only sought to extend the
expert witness deadline and follow-on dates by 20 days. That
Motion was granted by the Court on December 7, 2017.
Plaintiffs assert that Defendants must supplement their
discovery responses. On January 10, 2018, Plaintiffs'
counsel sent detailed discovery dispute letters to
Defendants' counsel asking that Defendants Vision
Airlines, Inc. and Vision Aviation Holdings, Inc. supplement
their discovery responses. The letter requesting that
Defendant Vision Airlines, Inc. supplement its responses was
10 pages in length; the letter requesting that Defendant
Vision Aviation Holdings, Inc. supplement its responses was 8
pages in length.
January 11, 2018, Plaintiffs' counsel sent detailed
discovery dispute letters to Defendants' counsel asking
that Defendants Acor and RBY, Inc. supplement their discovery
responses. The letter requesting that Defendant Acor
supplement his responses was 8 pages in length; the letter