United States District Court, W.D. Washington, Seattle
ONE WEST OWNERS ASSOCIATION, a Washington nonprofit corporation, Plaintiff,
ALLSTATE INSURANCE COMPANY, an Illinois corporation, Defendant.
SUDWEEKS & HOUSER, PLLC, Justin Sudweeks, Attorney for
Plaintiff One West Owners Association
SMITH COCHRAN DICKERSON Rich Gawlowski, Attorney for
Defendant Allstate Insurance Company
STIPULATED MOTION TO CONTINUE DEADLINE TO COMPLETE
RICARDO S. MARTINEZ CHIEF UNITED STATES DISTRICT JUDGE
now, the Parties to the above-entitled action, by and through
their respective counsel, and stipulate to this Motion for a
continuance of the amended deadline for the completion of
discovery. The extension of the discovery cutoff date will
not change any other dates or events contained in the Order
Setting Trial Date and Related Dates. (See Dkt.
the amended discovery cutoff is set for June 5, 2017. The
parties jointly stipulate to a continuance of the deadline to
complete discovery to June 30, 2017 in order to provide
counsel additional time to complete depositions, written
discovery, and to resolve, if necessary, any discovery
disputes that may arise between the parties; hopefully with
minimal court intervention.
Discovery Cutoff Date
June 5, 2017
June 30, 2017
to LR 16(b)(5) a scheduling Order may be modified “only
for good cause and with the judge's consent.” Here
the parties agree that good cause exists to extend the
discovery cutoff date to June 30, 2017.
parties in this matter have diligently pursued discovery and
worked toward resolution of the case. Both Allstate Insurance
Company (“Allstate”) and the One West Owners'
Association (the “Association”) have propounded
discovery. The Association has responded to Allstate's
discovery requests. Allstate has not yet responded to the
Association's requests, but has informed counsel that it
intends to respond no later than May 10, 2017.
2, 2017, the parties engaged in mediation, but were
unfortunately unable to resolve this matter. Moving forward,
the parties seek to conduct depositions, finish depositions
and if necessary resolve any discovery disputes that may
arise between the parties. Thus far, the parties have
conducted several depositions, including:
■ The Association's Expert Consultant, Kris Eggert;
■ The Association's Fed.R.Civ.P. 30(b)(6);
■ The Association's Property Manager (Venita