TYURINA v. URBANA TAHOE TC LLC

Case No. 2:16-cv-00759-TLN-EFB.

ELENA TYURINA, Plaintiffs, v. URBANA TAHOE TC LLC; URBANA TAHOE BEVERAGE COMPANY, LLC dba Beach Retreat and Lodge Tahoe, Defendants.

United States District Court, E.D. California.

Editors Note
Applicable Law: 28 U.S.C. § 1332
Cause: 28 U.S.C. § 1332 Diversity - Personal Injury
Nature of Suit: 360 P.I.: Other
Source: PACER


Attorney(s) appearing for the Case

Elena Tyurina, Plaintiff, represented by Michael Albert Kelly , Walkup, Melodia, Kelly & Schoenberger.

Elena Tyurina, Plaintiff, represented by Valerie Nicole Rose , Walkup Melodia Kelly & Schoenberger & Roger A. Dreyer , Dreyer Babich Buccola Wood Campora, LLP.

Urbana Tahoe TC LLC, Defendant, represented by James W. Rushford , Rushford & Bonotto, LLP.

Urbana Tahoe Beverage Company, LLC, Defendant, represented by James W. Rushford , Rushford & Bonotto, LLP.

Action Motorsports of Tahoe, Inc., Defendant, represented by James R. Pagliero , Pagliero & Associates.

Action Motorsports of Tahoe, Inc., Cross Claimant, represented by James R. Pagliero , Pagliero & Associates.

Urbana Tahoe Beverage Company, LLC, Cross Defendant, represented by James W. Rushford , Rushford & Bonotto, LLP.

Urbana Tahoe TC LLC, Cross Defendant, represented by James W. Rushford , Rushford & Bonotto, LLP.

Urbana Tahoe TC LLC, Counter Claimant, represented by James W. Rushford , Rushford & Bonotto, LLP.

Urbana Tahoe Beverage Company, LLC, Counter Claimant, represented by James W. Rushford , Rushford & Bonotto, LLP.

Action Motorsports of Tahoe, Inc., Counter Defendant, represented by James R. Pagliero , Pagliero & Associates.


STIPULATION AND ORDER TO EXTEND FACT DISCOVERY DEADLINE FOR THE PURPOSE OF DEPOSING WITNESSES

TROY L. NUNLEY, District Judge.

Subject to the approval of this Court, the parties hereby stipulate to extend the deadline for completion of fact discovery from August 28, 2017 to November 30, 2017. The parties make this request because extra time is necessary to complete fact discovery, which all parties are presently pursuing diligently. In addition to completing multiple depositions of party-related and independent fact witnesses in the Lake Tahoe area, the parties must additionally coordinate depositions of plaintiffs' treating physicians in Nevada and Minnesota.

The parties do not request any change or extension of any other previously established dates in the Court's Scheduling Order of August 29, 2016.

SO STIPULATED.

PURSUANT TO STIPULATION, IT IS SO ORDERED.


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