Try our Advanced Search for more refined results
Searching dockets in Kenny Stearns x
Alert me of new activity
All Case Activity Alerts Include: Answers, Appeals, Complaints, Motions, Orders, Trial Notes
Insurance | Massachusetts
Response to Court Order
RESPONSE TO COURT ORDER by Hudson Specialty Insurance Company re 117 Order,,,,,, . (Berns, Robert)
Order
District Judge Leo T. Sorokin: ELECTRONIC ORDER entered. On September 24, 2026, Plaintiff Hudson and Defendants filed a “Consented To” Motion for Extension of Time. Doc. No. 113 . It sought an extension until October 9th in the deadline (1) to answer or otherwise respond to Defendants’ Counterclaim and (2) “for Plaintiffs Hudson and Endurance and for Defendants to each respond to the written discovery demands served on each of the respective parties. The parties hereto have courteously consented to the relief requested.” Given that the Court reasonably read the Motion as representing that all of the parties agreed to this modest extension in the various discovery deadlines described in (2), the Court promptly allowed the motion on September 25th. On that same day, Endurance filed a response to the Motion stating (1) that it did not consent to this extension and (2) that it was not consulted and (3) that it was not participating in the discussions referenced in the Motion. Insofar as the Motion sought and the Court order allowed and extension in the deadline to respond to discovery requests served by Endurance, Endurance “objects”. Doc. No. 115 . In these circumstances, the Court VACATES that much of its Order extending the deadline to respond to discovery requests served by Endurance, Orders Hudson and Defendants to file a response to this Order explaining (1) the basis for asserting that Endurance consented to extension; (2) the reasons supporting extending the deadline to October 9th.(FGD)
On September 24, 2026, Plaintiff Hudson and Defendants filed a “Consented To” Motion for Extension of Time. Doc. No. 113 . It sought an extension until October 9th in the deadline (1) to answer or otherwise respond to Defendants’ Counterclaim and (2) “for Plaintiffs Hudson and Endurance and for Defendants to each respond to the written discovery demands served on each of the respective parties. The parties hereto have courteously consented to the relief requested.” Given that the Court reasonably read the Motion as representing that all of the parties agreed to this modest extension in the various discovery deadlines described in (2), the Court promptly allowed the motion on September 25th. On that same day, Endurance filed a response to the Motion stating (1) that it did not consent to this extension and (2) that it was not consulted and (3) that it was not participating in the discussions referenced in the Motion. Insofar as the Motion sought and the Court order allowed and extension in the deadline to respond to discovery requests served by Endurance, Endurance “objects”. Doc. No. 115 . In these circumstances, the Court VACATES that much of its Order extending the deadline to respond to discovery requests served by Endurance, Orders Hudson and Defendants to file a response to this Order explaining (1) the basis for asserting that Endurance consented to extension; (2) the reasons supporting extending the deadline to October 9th.
In the legal profession, information is the key to success. You have to know what’s happening with clients, competitors, practice areas, and industries. Law360 provides the intelligence you need to remain an expert and beat the competition.
TRY LAW360 FREE FOR SEVEN DAYS
Already a subscriber? Click here to login
Email (NOTE: Free email domains not supported)
First Name
Last Name
Job Title
PLEASE NOTE: A verification email will be sent to your address before you can access your trial.
Password (at least 8 characters required)
Confirm Password
Law360 may contact you in your professional capacity with information about our other products, services and events that we believe may be of interest.You’ll be able to update your communication preferences via the unsubscribe link provided within our communications.We take your privacy seriously. Please see our Privacy Policy.