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Case 1:07-cv-00644-WDM-CBS Document 40 Filed 08/22/2007 Page 1 of 1 Civil Action No. 07-cv-00644-WDM-CBS IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Magistrate Judge Craig B. Shaffer EDWARD J. KERBER, NELSON B. PHELPS, JOANNE WEST, NANCY A. MEISTER, THOMAS J. INGEMANN, JR., Individually, and as Representative of plan participants and plan beneficiaries of the QWEST GROUP LIFE INSURANCE PLAN, v. Plaintiffs, QWEST GROUP LIFE INSURANCE PLAN, QWEST EMPLOYEES BENEFIT COMMITTEE, QWEST PLAN DESIGN COMMITTEE, QWEST COMMUNICATIONS INTERNATIONAL, INC., Defendants. MINUTE ORDER ORDER ENTERED BY MAGISTRATE JUDGE CRAIG B. SHAFFER IT IS HEREBY ORDERED that the Joint and Stipulated Motion to Stay Discovery (doc. no. 37) is GRANTED. Within 72 hours of receipt of a decision by District Judge Miller on Defendants Motion to Dismiss Under Rule 12(b)(6) (doc. no. 16), counsel shall contact Magistrate Judge Shaffer s chambers (303.844.2117) to make arrangements for the setting of a telephonic status conference. DATED: August 22, 2007

Case 1:07-cv-00644-WDM-CBS Document 37 Filed 08/17/2007 Page 1 of 4 Civil Action No. 07-cv-00644-WDM-CBS IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO EDWARD J. KERBER, et al, Individually, and as Representatives of plan participants and plan beneficiaries of the QWEST GROUP LIFE INSURANCE PLAN, vs. Plaintiffs, QWEST GROUP LIFE INSURANCE PLAN, et al., Defendants. JOINT AND STIPULATED MOTION TO STAY DISCOVERY Plaintiffs and Defendants (jointly, the Parties ), through their respective counsel, respectfully submit this Motion To Stay Discovery ( Motion To Stay ) pending the Court s determination of Defendants Motion To Dismiss Under Rule 12(b)(6) ( Motion To Dismiss ). In support of this Motion To Stay, the Parties state: 1. At the August 13, 2007 Scheduling Conference, the Court directed the parties to confer and then file on or before August 20, 2007, either a motion to stay discovery or an amended scheduling order setting forth a limited discovery schedule. 2. In accordance with the Court s order, the Parties have conferred about the amount of discovery, if any, they will need to undertake following the Court s ruling on the Motion To Dismiss. In particular, the Parties discussed ways in which discovery can be

Case 1:07-cv-00644-WDM-CBS Document 37 Filed 08/17/2007 Page 2 of 4 streamlined or eliminated following the Court s ruling on that motion. As a result of those discussions, the Parties believe that following the Court s ruling on the Motion To Dismiss, they will be able to reach agreements for example, concerning possible amendments to the existing complaint and/or the authenticity of any additional relevant documents that would likely eliminate the need for formal discovery. The Parties cannot reach those agreements now because their terms will depend on whether the Court grants, or instead denies, the Motion To Dismiss, and may also depend on the Court s rationale for granting or denying that motion. 3. Because the Parties believe they can reach agreements following the Court s ruling on the Motion To Dismiss that will likely eliminate the need for formal discovery, they believe there is no need at this time to file an amended scheduling order setting forth a limited discovery schedule. They accordingly hereby jointly move the Court for entry of an order staying discovery pending the Court s ruling on the Motion To Dismiss. A proposed form of Order is attached. 4. The Parties thank the Court for providing them with ideas regarding how to streamline or eliminate discovery, and for affording them an opportunity to discuss possible stipulations that could eliminate the need for such discovery. WHEREFORE, the Parties respectfully request entry of the Order Staying Discovery that accompanies this Motion. 2

Case 1:07-cv-00644-WDM-CBS Document 37 Filed 08/17/2007 Page 3 of 4 DATED: August 17, 2007. s/ Curtis L. Kennedy Curtis L. Kennedy 8405 East Princeton Avenue Denver, CO 80237-1741 Telephone: 303-770-0440 Facsimile: 303-843-0360 Email: CurtisLKennedy@aol.com ATTORNEYS FOR PLAINTIFFS s/ Christopher J. Koenigs Christopher J. Koenigs Michael B. Carroll SHERMAN & HOWARD L.L.C. 633 Seventeenth Street, Suite 3000 Denver, CO 80202 Telephone: 303-297-2900 Facsimile: 303-298-0940 Email: ckoenigs@sah.com mcarroll@sah.com ATTORNEYS FOR DEFENDANTS 3

Case 1:07-cv-00644-WDM-CBS Document 37 Filed 08/17/2007 Page 4 of 4 CERTIFICATE OF SERVICE I hereby certify that on August 17, 2007, I electronically filed the foregoing Joint and Stipulated Motion To Stay Discovery with the Clerk of the Court using the CM/ECF system which will send notification of such filing to the following e-mail addresses: Curtis L. Kennedy, Esq. at CurtisLKennedy@aol.com I also hereby certify that on August 17, 2007, I served by regular U.S. Mail the foregoing Joint and Stipulated Motion To Stay Discovery on the following person at the following address: Cynthia Delaney, Esq. Qwest Communications International Inc. 1801 California Street, Suite 900 Denver, CO 80202 Also, copy of the same will be delivered via email to Named Plaintiffs as follows: Edward J. Kerber Nancy A. Meister 33302 Neacoxie Lane 12400 48 th Ave., N. Warrenton, OR 97146 Plymouth, MN 55442-2008 EJKMAK@aol.com dnmeister@comcast.net Nelson B. Phelps Thomas J. Ingemann, Jr. 1500 So. Macon St. 955 Ford Road Aurora, CO 80012-5141 Newport, MN 55055-1515 nbphelps@woldnet,att.net tingemann@comcast.net Joanne West Marty A. Lensink 10172 South Miner Drive 1309 Campbell Ave. South Jordan, UT 84095-2421 Prescott, AZ 86301-1503 bikenbabe@qwest.net martylensink@hotmail.com Samuel G. Strizich 27605 N. 61 st Place Scottsdale, AZ 85262-6741 samsharon@cox.net s/patricia Eckman Patricia Eckman 4