Filed: Jun. 11, 2019
Latest Update: Jun. 11, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT TO FILE RESPONSE AND PLAINTIFF TO FILE REPLY TO PLAINTIFF'S MOTION FOR PARTIAL SUMMARY JUDGMENT (First Request) JENNIFER A. DORSEY , District Judge . Plaintiff M. Paul Weinstein, appearing pro se, and Defendant Meritor, Inc. ("Meritor"), by and through its counsel of record, have agreed to the following: On June 3, 2019, Plaintiff served Meritor with his Motion for Partial Summary Judgment. Under the Local Rules, Meritor's Response to P
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT TO FILE RESPONSE AND PLAINTIFF TO FILE REPLY TO PLAINTIFF'S MOTION FOR PARTIAL SUMMARY JUDGMENT (First Request) JENNIFER A. DORSEY , District Judge . Plaintiff M. Paul Weinstein, appearing pro se, and Defendant Meritor, Inc. ("Meritor"), by and through its counsel of record, have agreed to the following: On June 3, 2019, Plaintiff served Meritor with his Motion for Partial Summary Judgment. Under the Local Rules, Meritor's Response to Pl..
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STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT TO FILE RESPONSE AND PLAINTIFF TO FILE REPLY TO PLAINTIFF'S MOTION FOR PARTIAL SUMMARY JUDGMENT
(First Request)
JENNIFER A. DORSEY, District Judge.
Plaintiff M. Paul Weinstein, appearing pro se, and Defendant Meritor, Inc. ("Meritor"), by and through its counsel of record, have agreed to the following:
On June 3, 2019, Plaintiff served Meritor with his Motion for Partial Summary Judgment. Under the Local Rules, Meritor's Response to Plaintiff's Motion for Partial Summary Judgment is due June 24, 2019.
Pursuant to Stipulation and Order, discovery closes on July 2, 2019, and the deadline to file dispositive motions is August 2, 2019. See ECF No. 60.
In order to consider the July 2, 2019 discovery cutoff, both Plaintiff and Meritor hereby request this Court extend the date for Meritor to file its response to Plaintiff's Motion for Partial Summary Judgment up to and including July 16, 2019, and the date for Plaintiff to file his reply up to and including July 30, 2019.
This agreement is made in good faith, is not interposed for delay, and is not filed for an improper purpose.
Dated: June 10, 2019.
BALLARD SPAHR LLP
By: /s/ Joel E. Tasca By: /s/ M. Paul Weinstein
Booker T. Evans, Jr. M. Paul Weinstein
Nevada Bar No. 1209 1482 Fieldbrook Street
Joel E. Tasca Henderson, Nevada 89052
Nevada Bar No. 14124 (925) 890-5714
Stacy H. Rubin In Propria Persona
Nevada Bar No. 9298
1980 Festival Plaza Dr., Suite 900
Las Vegas, Nevada 89135
Attorneys for Defendant Meritor, Inc.
ORDER
IT IS SO ORDERED.