CHse 2:10-cv-09198-JVS -RNB Document 92 Filed 08/18/11 Page 1of6 Page ID #:2990 JONATHAN A. SHAPIRO (257199 WILMER CUTLER PICKERING HALE AND DORR LLP 950 Page Mill Road Palo Alto, CA 94304 Tel: (650) 858-6101 Fax: (650) 858-6100 jonathan.shapiro@wilmerhale.com ANDREA J. ROBINSON (PRO HAC VICE) TIMOTHY J. PERLA (PRO HAC VICE WILMER CUTLER PICKERING HALE AND DORR LLP 60 State Street Boston, MA 02109 Tel: (617) 526-6000 Fax: (617) 526-5000 andrea.robinson@wilmerhale.com timothy.perla@wilmerhale.com Attorneys for Defendant Life Insurance Company of the Southwest UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA SOUTHERN DIVISION JOYCE WALKER, KIM BRUCE Case No.: 10-09198 JVS(RNBx) HOWLETT, and MURIEL SPOONER on behalf of themselves and all others STATEMENT REGARDING similarly situated, COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT?’S NOTICE OF Plaintiffs, MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS VS. Honorable James V. Selna LIFE INSURANCE COMPANY OF THE SOUTHWEST, a Texas corporation, and | Date: September 12, 2011 DOES 1-50, Time: 1: ites Courtroom: 10C Defendant. STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS, 10-09198 JVS(RNBx) CHse 2:10-cv-09198-JVS -RNB Document 92 Filed 08/18/11 Page 2of6 Page ID #:2991 1 STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS Defendant’s Contentions: Defendant Life Insurance Company of the Southwest (“LSW’”’) met and conferred with Plaintiffs prior to the filing of its Notice of Motion and Motion for Judgment on the Pleadings (the “Motion’’) pursuant to Local Rule 7.3. Specifically, on July 19, 2011, counsel for LSW informed counsel for Plaintiffs that they expected to file a motion for judgment on the pleadings seeking to dismiss a substantial portion of Plaintiffs’ claims. Subsequently, on July 25, 2011, counsel for LSW informed counsel for Plaintiffs about the substantive bases for LSW’s anticipated motion prior to filing the Motion. LSW also told Plaintiffs of the date on which LSW intended to file the Motion. Because Plaintiffs never stated that they needed additional time to meet-and-confer regarding the Motion, nor did they provide any substantive reason (let alone a compelling one) why the Motion should not be filed, LSW understood that the parties were at an impasse as to the substance of the Motion, and that the Motion would not be resolved by agreement. During the period after LSW informed Plaintiffs of the Motion, the parties exchanged several communications regarding the Motion, primarily regarding the hearing. During these communications, no potential resolution of the Motion was identified. Plaintiffs did not (and do not) indicate any willingness to voluntarily dismiss any of their STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS, 10-09198 JVS(RNBx) CHse 2:10-cv-09198-JVS -RNB Document 92 Filed 08/18/11 Page3of6 Page ID #:2992 28 claims against LSW (the relief sought by LSW’s Motion), nor have Plaintiffs complained at any point since the Motion was filed that LSW insufficiently met or conferred. Plaintiffs’ Contentions: LSW made no attempt to comply with Local Rule 7.3, which requires that, at least ten (10) days before the filing of a motion, “counsel contemplating the filing of any motion shall first contact opposing counsel to discuss thoroughly, preferably in person, the substance of the contemplated motion and any potential resolution.” Counsel for LSW did not contact Plaintiffs at least ten (10) days before the July 25 filing of its motion and never discussed the substance of the motion and any potential resolution, let alone discuss it “thoroughly” as required by the rule. The parties’ on/y communications regarding the pending motion prior to the date the motion was filed concerned the hearing date for the motion. The first ttme LSW ever mentioned the motion was on July 19, when the parties discussed various discovery disputes and LSW suggested that the discovery disputes should be heard the week of September 12 because it intended to file a motion for judgment on the pleadings to be heard that same week. On July 21, 22, and 25, the parties continued to discuss the hearing date for the motion for judgment on the pleadings. It was not until after Plaintiffs requested information about the substantive content of the motion on July 25, the same day the motion was filed, that LSW provided Plaintiffs with a brief general description of its contents in the context of a discussion of whether Plaintiffs would be = Dn STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS, 10-09198 JVS(RNBx) CHse 2:10-cv-09198-JVS -RNB Document 92 Filed 08/18/11 Page 4of6 Page ID #:2993 28 willing to reduce the previously stipulated time period to oppose the motion in order to accommodate a hearing date of August 29.' LSW’s failure to meet and confer thoroughly pursuant to Local Rule 7.3 regarding the substance and potential resolution of the motion deprived the parties of an opportunity to narrow the scope of the motion, as Plaintiffs would have pointed out to LSW several allegations and other issues that LSW’s motion overlooks, including among other things that, in part, the motion restates arguments from LSW’s motion to dismiss that were previously rejected by the Court such that any new motion on those arguments is a motion for reconsideration. ' Ultimately, LSW filed the motion with a hearing date of September 12, 2011 even though Plaintiffs advised LSW that neither of Plaintiffs’ lead counsel could appear on that date. Mr. Brosnahan had (and still has) a trial set to begin September 6, 2011 that is expected to last at least two weeks. Mr. Freiberg had (and still has) a mediation scheduled in Chicago that would prevent him from appearing on September 12. Plaintiffs have not yet sought to move the hearing on LSW’s motion because there is still a chance of settlement in the case Mr. Brosnahan is scheduled to try. -3- STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS, 10-09198 JVS(RNBx) CHse 2:10-cv-09198-JVS -RNB Document 92 Filed 08/18/11 Page5of6 Page ID #:2994 28 Respectfully submitted, WILMER CUTLER PICKERING HALE AND DORR LLP By: /s/ Jonathan A. Shapiro Jonathan A. Shapiro (25 7199) Andrea J. Robinson (pro hac vice) Timothy J. Perla (pro hac vice) Attorneys for Defendant Life Insurance Company of the Southwest KASOWITZ, BENSON, TORRES & FRIEDMAN By: /s/ Charles N. Freiber. Charles N. Freiberg (70890) Brian P. Brosnahan (112894) Jacob P. Foster (250785) Attorneys for Plaintiffs Joyce Walker, Kim Bruce Howlett and Muriel Spooner cll STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS, 10-09198 JVS(RNBx) CHse 2:10-cv-09198-JVS -RNB Document 92 Filed 08/18/11 Page 6of6 Page ID #:2995 1 PROOF OF SERVICE 2 I am a resident of the State of California, over the age of eighteen years, and not a pay to the within action. aa business address is Wilmer Cutler Pickering Hale and Dorr 3 a , 950 (3e° Mill Road, Palo Alto, CA 94304. On August 18, 2011, I served the within ocument(s): STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 5 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS nN aD I placed the document(s) listed above in a sealed envelope with postage thereon fully prepaid, in the United States mail at Palo Alto, CA addressed as set forth below. 8 I personally caused to be hand delivered the document(s) listed above to the SOO) at the address(es) set forth below. 9 I electronically filed the document(s) listed above via the CM/ECF system. ‘a 12 Charles N. Freiber LOW, BENSON, TORRES & FRIEDMAN 13 101 California Street, Suite 2300 14 San Francisco, CA 94111 ee) . Harvey R. Levine 16 LEVINE & MILLER 550 West C. Street, Suite 1810 17 San Diego, CA 92101-8596 18 /s/ Jonathan_A. Shapiro 19 Jonathan A. Shapiro 20 21 22 23 24 25 26 27 5. 28 STATEMENT REGARDING COMPLIANCE WITH LOCAL RULE 7.3 ON DEFENDANT’S NOTICE OF MOTION AND MOTION FOR JUDGMENT ON THE PLEADINGS, 10-09198 JVS(RNBx)