Nevada Power Company v. Trench France, S.A.S., 2:19-cv-01252. (2019)
Court: District Court, D. Nevada
Number: infdco20191219c77
Visitors: 15
Filed: Dec. 18, 2019
Latest Update: Dec. 18, 2019
Summary: STIPULATION TO EXTEND BRIEFING SCHEDULE RE TRENCH FRANCE'S MOTION TO DISMISS ORDER JENNIFER A. DORSEY , District Judge . Defendant Trench France, S.A.S ("Trench France") filed its Motion to Dismiss on December 12, 2019 (Doc. 28). Plaintiffs' opposition is currently due on December 26, 2019 and Trench France's deadline to reply is currently January 3, 2020. Plaintiffs and Trench France, by and through their respective counsel undersigned, hereby stipulate and respectfully request an order t
Summary: STIPULATION TO EXTEND BRIEFING SCHEDULE RE TRENCH FRANCE'S MOTION TO DISMISS ORDER JENNIFER A. DORSEY , District Judge . Defendant Trench France, S.A.S ("Trench France") filed its Motion to Dismiss on December 12, 2019 (Doc. 28). Plaintiffs' opposition is currently due on December 26, 2019 and Trench France's deadline to reply is currently January 3, 2020. Plaintiffs and Trench France, by and through their respective counsel undersigned, hereby stipulate and respectfully request an order th..
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STIPULATION TO EXTEND BRIEFING SCHEDULE RE TRENCH FRANCE'S MOTION TO DISMISS
ORDER
JENNIFER A. DORSEY, District Judge.
Defendant Trench France, S.A.S ("Trench France") filed its Motion to Dismiss on December 12, 2019 (Doc. 28). Plaintiffs' opposition is currently due on December 26, 2019 and Trench France's deadline to reply is currently January 3, 2020. Plaintiffs and Trench France, by and through their respective counsel undersigned, hereby stipulate and respectfully request an order that Plaintiffs shall have up to and including January 10, 2020 to file its opposition and Trench France shall have up to and including January 24, 2020, to file its reply in support of its Motion to Dismiss.
Given the upcoming holidays and the complexity of the issues involved, all counsel request additional time to prepare their briefing. This extension is made in good faith and not for purpose of delay.
DATED this 17th day of December, 2019.
SANTORO WHITMIRE BOWMAN AND BROOKE LLP
By: /s/James E. Whitmire (with permission) By: /s/Curtis J. Busby
Nicholas J. Santoro Curtis J. Busby
Nevada Bar No. 532 Nevada Bar No. 6581
James E. Whitmire Suite 1600, Phoenix Plaza
Nevada Bar No. 6533 2901 North Central Avenue
SANTOR WHITMIRE Phoenix, Arizona 85012-2736
10100 West Charleston Blvd., Ste 250
Las Vegas, Nevada 89135 Mario D. Valencia
Nevada Bar No. 6154
Charles R. Messer Attorney at Law, LLC
CARLSON & MESSER LLP 40 S. Stephanie St., Ste. 201
5901 W. Century Blvd., Ste. 1200 Henderson, Nevada 89012
Los Angeles, California 90045
Attorneys for Defendants Trench France,
Attorneys for Plaintiffs S.A.A. and Trench Limited
IT IS SO ORDERED.
Source: Leagle