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  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
  • DORA LUZ ORDONEZ  vs.  ALLSTATE FIRE AND CASUALTY INSURANCE COMPANYMOTOR VEHICLE ACCIDENT document preview
						
                                

Preview

FILED 5/12/2022 9:21 AM FELICIA PITRE DISTRICT CLERK DALLAS CO., TEXAS Brandon Keys DEPUTY CAUSE NO. DC—2 1-059 12 DORA LUZ ORDONEZ IN THE DISTRICT COURT Plaintiff, VS. 44TH JUDICLéi DISTRICT ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY DALLAS COUNTY, TEXAS Defendants. DEFENDANT ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY’S MOTION FOR CONTINUANCE TO THE HONORABLE JUDGE OF SAID COURT: NOW COMES ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY, Defendant herein, and files this Motion for Continuance and as grounds therefore would respectfully show the Court as follows: I. Defendant, ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY, requests that this Court grant Defendant a continuance from the trial setting on May 16, 2022. II. As of the time of this motion, Counsel for Defendant has the following trial settings the week of May 16, 2022 (allof which are older than this case) that may possibly conflict with the trial setting in this case: o 5/16/22 - Ordonez vs. Allstate - 44th Judicial District - Dallas County - Case # DC-21- o 2/51961/22- Salazar vs. Johnson — County Court at Law No. 2 - Tarrant County - Case # 2019-006569-2. o 5/ 17/22 - Lopez, et al. vs. Pradhan - County Court at Law No. 4 - Tarrant County - Case # CC-19-04929-D. o - Sanchez vs. Nunez - 1013t Judicial District - Dallas County - Case # DC-19- if)1174322 Plaintiff’s counsel has also indicated that he has been called to trial in an older case in Ordonez vs. Allstate PAGE 1 DEFENDANT’S MOTION FOR CONTINUANCE 0531779221.1 Collin County for Monday. III. Additionally, the offices of Plaintiff‘s counsel and Defendant's counsel have been working to schedule mediation in this case and would request additional time to schedule this matter for mediation before trial. IV Therefore, in the interest of justice and not for the purpose of delay, this Defendant duly moves the Court for a continuance and asks that the case be set for trial on its merits for a time convenient to the Court and parties. WHEREFORE, PREMISES CONSIDERED, Defendant prays that this Motion for Continuance be granted, and for such other and further relief to which Defendant may show it to be justly entitled. Respectfully submitted, WW LISA CHASTAIN & ASSOCIATES YOUNG C. JENKINS TBN: 24034505 P.O. Box 655441 Dallas, TX 75265 E-Service Only: DallasLegal@allstate.com (214) 659-4346 (877) 678-4763 (fax) ATTORNEY FOR DEFENDANT(S) ALLSTATE FIRE AND CASUALTY INSURANCE COMPANY Ordonez vs. Allstate PAGE 2 DEFENDANT’S MOTION FOR CONTINUANCE 0531779221.1 CERTIFICATE OF CONFERENCE A conference was held on Via email with Tanner Forman, attorney for Plaintiff(s), regarding this Motion and he is agreed with a continuance of the trial setting. WM YOUNG C. JENKINS CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing has been served in compliance with Rules 21 and 21a of the Texas Rules of Civil Procedure on May 12, 2022 to: Attorney for Plaintiff Tanner C. Forman JIM S. ADLER & ASSOCLATES The Tower at CityPlace, Lock Box 40 2711 N. Haskell Avenue, Suite 2500 WM Dallas, Texas 75204 YOUNG C. JENKINS Ordonez vs. Allstate PAGE 3 DEFENDANT’S MOTION FOR CONTINUANCE 0531779221.1 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules. Janna Morris on behalf of Young Jenkins Bar No. 24034505 jmotb@allstate.com Envelope ID: 64431495 Status as of 5/12/2022 11:14 AM CST Case Contacts Name BarNumber Email TimestampSubmitted Status Tanner Forman 24094662 tforman@jimadler.com 5/12/2022 9:21 :25 AM SENT Marisela Hernandez marihernandez@jimadler.com 5/12/2022 9:21:25 AM SENT Melissa Chavarria MChavarria@jimadler.com 5/12/2022 9:21:25 AM SENT