Filed: May 07, 2019
Latest Update: May 07, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO MOTION TO DISMISS [DKT. 19] [FIRST REQUEST] RICHARD F. BOULWARE, II , District Judge . Plaintiff Edward Calvillo ("Plaintiff"), by and through his counsel of record, and Defendant Experian Information Solutions, Inc. ("Experian") have agreed and stipulated to the following: 1. On February 14, 2019, Plaintiff filed a Complaint [ECF Dkt. 1]. 2. On April 2, 2019, Experian filed a Motion to Dismiss the Complaint [ECF Dkt.11].
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO MOTION TO DISMISS [DKT. 19] [FIRST REQUEST] RICHARD F. BOULWARE, II , District Judge . Plaintiff Edward Calvillo ("Plaintiff"), by and through his counsel of record, and Defendant Experian Information Solutions, Inc. ("Experian") have agreed and stipulated to the following: 1. On February 14, 2019, Plaintiff filed a Complaint [ECF Dkt. 1]. 2. On April 2, 2019, Experian filed a Motion to Dismiss the Complaint [ECF Dkt.11]. 3..
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STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO MOTION TO DISMISS [DKT. 19]
[FIRST REQUEST]
RICHARD F. BOULWARE, II, District Judge.
Plaintiff Edward Calvillo ("Plaintiff"), by and through his counsel of record, and Defendant Experian Information Solutions, Inc. ("Experian") have agreed and stipulated to the following:
1. On February 14, 2019, Plaintiff filed a Complaint [ECF Dkt. 1].
2. On April 2, 2019, Experian filed a Motion to Dismiss the Complaint [ECF Dkt.11].
3. On April 16, 2019, Plaintiff filed an Amended Complaint [ECF Dkt. 17].
4. On April 30, 2019, Experian filed a Motion to Dismiss the Amended Complaint [ECF Dkt. 19].
5. Plaintiff's Response is due May 14, 2019.
6. Plaintiff and Experian have agreed to extend Plaintiff's response ten days in order to allow Plaintiffs' counsel to address Experian's pending motion to dismiss and consult with Plaintiff prior to filing the response. As a result, both Plaintiff and Experian hereby request that this Court to extend the date for Plaintiff to respond to Experian's Motion to Dismiss Amended Complaint until May 24, 2019. This stipulation is made in good faith, is not interposed for delay, and is not filed for an improper purpose.
IT IS SO STIPULATED.
KNEPPER & CLARK LLC NAYLOR & BRASTER
/s/ Matthew I. Knepper /s/ Andrew J. Sharples
Matthew I. Knepper, Esq. Jennifer L. Braster, Esq.
Nevada Bar No. 12796 Nevada Bar No. 9982
Miles N. Clark, Esq. Andrew J. Sharples, Esq.
Nevada Bar No. 13848 Nevada Bar No. 12866
Email: matthew.knepper@knepperclark.com Email: jbraster@nblawnv.com
Email: miles.clark@knepperclark.com Email: asharples@nblawnv.com
HAINES & KRIEGER LLC JONES DAY
David H. Krieger, Esq. Cheryl L. O'Connor, Esq.
Nevada Bar No. 9086 Nevada Bar No. 14745
Email: dkrieger@hainesandkrieger.com Email: coconnor@jonesday.com
Counsel for Defendant
Counsel for Plaintiff Experian Information Solutions, Inc.
ALVERSON TAYLOR & SANDERS
/s/ Kurt R. Bonds
Kurt R. Bonds, Esq.
Nevada Bar No. 6228
Trevor Waite, Esq.
Nevada Bar No. 13779
Email: kbonds@alversontaylor.com
Email: twaite@alversontaylor.com
Counsel for Defendant
Trans Union LLC
Calvillo v. Experian Information Solutions, Inc et al.,
2:19-cv-00277-RFB-NJK
ORDER GRANTING STIPULATION TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO EXPERIAN's MOTION TO DISMISS AMENDED COMPLAINT
IT IS SO ORDERED.