District Court, D. Nevada, 2020

Wesco Insurance Company v. Smart Industries Corporation

Wesco Insurance Company v. Smart Industries Corporation
District Court, D. Nevada · Decided July 29, 2020
Wesco Insurance Company v. Smart Industries Corporation

Trial Court Opinion

1 DAVID BARRON, ESQ.

Nevada Bar No. 142 JOSEPH R. MESERVY, ESQ.

Nevada Bar No. 14088 BARRON & PRUITT, LLP 3890 West Ann Road North Las Vegas, Nevada 89031-4416 Telephone: (702) 870-3940 Facsimile: (702) 870-3950 Email: [email protected] Email: [email protected] Attorneys for Defendant, Smart Industries Corporation UNITED STATES DISTRICT COURT DISTRICT OF NEVADA ***** WESCO INSURANCE COMPANY as subrogee Case No.: 2:16-cv-01206-JCM-EJY of its insured NICKELS AND DIMES INCORPORATED, 13 Plaintiff, vs. SMART INDUSTRIES CORPORATION dba CONSOLIDATED FOR PURPOSES OF SMART INDUSTRIES CORP., MFG., an Iowa DISCOVERY AND TRIAL corporation, 17 Defendants.

JENNIFER WYMAN, individually; BEAR Case No.: 2:16-cv-02378-JCM-EJY WYMAN, a minor, by and through his natural parent JENNIFER WYMAN; JENNIFER WYMAN and VIVIAN SOOF, as Joint Special STIPULATION AND ORDER FOR Administrators of the ESTATE OF CHARLES EXTENSION OF TIME FOR WYMAN; and SARA RODRIGUEZ natural DEFENDANT SMART TO TAKE parent and guardian ad litem of JACOB WYMAN, CERTAIN DEPOSITIONS (Fifth Request) Plaintiffs, vs. SMART INDUSTRIES CORPORATION dba SMART INDUSTRIES CORP., MFG, an Iowa Corporation; HI-TECH SECURITY INC, a Nevada Corporation; WILLIAM ROSEBERRY; BOULEVARD VENTURES, LLC, a Nevada Corporation; DOES 1 through 10; BUSINESS 1 Defendants.

HI-TECH SECURTY INC; and WILLIAM ROSEBERRY, 3 Third-Party Plaintiffs, vs. NICKELS AND DIMES INCORPORATED, 6 Third-Party Defendants.

On February 19, 2020, this Court issued an Order (ECF No. 199) stating that “discovery is reopened for a period of 45 days, beginning from the date of this Order, for the sole and exclusive purpose of allowing Smart Industries to depose Samir Bangalore, M.D. as a fact witness, Jerry Andrews as a fact witness, Lisa Gavin, as a fact witness, and Person Most Knowledgeable for the Clark County Coroner/Medical Examiner, and the Person(s) Most Knowledgeable for Sunrise Hospital, Affordable Cremation & Burial, and the Clark County Fire Department.” ECF No. 199 at 19. On March 23, 2020, this Court issued an Order (ECF No. 237) extending that period of time by days. On April 20, 2020, this Court issued an Order (ECF No. 251) extending that period of time by 30 days. On June 2, 2020, this Court issued an Order (ECF No. 261) extending that period of time by 30 days. On June 30, 2020, this Court issued and Order (ECF No. 265) extending the period of time to take the deposition of Lisa Gavin, MD through July 27, 2020.

19 Due to a change in the schedule of a family member’s medical procedure, counsel for Smart Industries, Inc. needs to reschedule the deposition of Dr. Gavin. With this Court’s approval, the parties hereby agree that the deadline for Smart Industries to depose Lisa Gavin, as a fact witness, shall be extended by an additional 35 days, or such other time as deemed appropriate by the Court. As such, the deadline provided for Smart Industries to take the deposition of Dr. Gavin shall conclude on August 31, 2020. All other deposition previously allowed by the court have been completed.

25 /// /// /// 1 This Stipulation is submitted in good faith and is not interposed for purposes of delay. This the fifth request to extend the discovery deadline for the sole purpose of allowing Smart Industries depose Lisa Gavin, as a fact witness.

4 Respectfully submitted, Dated this 24™ day of July, 2020, Dated this 28thday of July, 2020, BARRON & PRUITT, LLP EGLET ADAMS || _/s/ Joseph R. Meservy _/s/JamesTrummell DAVID BARRON, ESQ. TRACY A. EGLET, ESQ.

8 || Nevada Bar No. 142 Nevada Bar No. 6419 JOSEPH R. MESERVY, ESQ. JAMES A. TRUMMELL, ESQ.

9 || Nevada Bar No. 14088 Nevada Bar No. 14127 3890 West Ann Road ASHLEY E. KABINS, ESQ.

10 || North Las Vegas, Nevada 89031 Nevada Bar No. 15057 Attorneys for Defendant 400 South 7" Street, 4" Floor || Smart Industries Corporation Las Vegas, Nevada 89101 Attorneys for the Wyman Plaintiffs _ Dated this 28thday of July, 2020, CLIFF W. MARCEK, P.C.

15 || _/s/ Cliff Marcek CLIFF W. MARCEK, ESQ.

16 || Nevada Bar No. 5061 “EEE 536 East St. Louis Ave. 17 Las Vegas, Nevada 89104 Attorneys for Plaintiffs Sara Rodriguez || and Jacob Wyman Case No. 2:16-cv-02378-JCM-EJY 19 Stipulation and Order for Extension of Time for Defendant Smart to 20 Take Certain Depositions (Second Request) 22 ORDER 33 Based upon the Stipulation of the parties hereto, and with good cause appearing therefor, || IT IS HEREBY ORDERED, that the Stipulation to Extend hereinabove is hereby Granted.

5 DATED this 29th day of July, 2020.

27 UNITED|STAT GISTRATE JUDGE

Case-law data current through December 31, 2025. Source: CourtListener bulk data.