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Zeitlin v. Bank of America, N.A., 18-cv-01919-RFB-CWH. (2019)

Court: District Court, D. Nevada Number: infdco20190515g56 Visitors: 8
Filed: May 09, 2019
Latest Update: May 09, 2019
Summary: STIPULATION TO EXTEND TIME TO FILE PROPOSED SCHEDULING ORDER (First Request) CARL W. HOFFMAN , Magistrate Judge . Richard Zeitlin, Advanced Telephony Consultants, MRZ Management, LLC, Donor Relations, LLC, TPFE, Inc., American Technology Services, Compliance Consultants, Chrome Builders Construction, and Unified Data Services, (hereinafter the "Plaintiffs"), by and through undersigned counsel of record files this Stipulation to Extend the Time to File the Joint Proposed Scheduling Order. T
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STIPULATION TO EXTEND TIME TO FILE PROPOSED SCHEDULING ORDER

(First Request)

Richard Zeitlin, Advanced Telephony Consultants, MRZ Management, LLC, Donor Relations, LLC, TPFE, Inc., American Technology Services, Compliance Consultants, Chrome Builders Construction, and Unified Data Services, (hereinafter the "Plaintiffs"), by and through undersigned counsel of record files this Stipulation to Extend the Time to File the Joint Proposed Scheduling Order. This stipulation is filed pursuant to LR 6-1 and 6-2. This is the first request for an extension of time to file the Joint Proposed Scheduling Order.

Bank of America ("BOA") filed its Motion to Dismiss on November 16, 2018, (Doc. 16), and the Court ordered a hearing set for April 25, 2019, (Doc. 27). At the April 25, 2019 motion hearing the Court ordered the parties to submit a joint proposed scheduling order by May 10, 2019. (Doc. 28.) The undersigned counsel for the Plaintiffs ordered an expedited transcript so the parties could incorporate the discussion into the proposed scheduling order. The parties need additional time to review the transcript, exchange drafts of the proposed scheduling order and confer before filing the joint proposed scheduling order. Therefore, the parties have stipulated to a seven-day extension to file the joint proposed scheduling order from Friday, May 10 to Friday, May 17 and request the Court adopt this stipulation.

Respectfully submitted on May 9, 2019.

THE BERNHOFT LAW FIRM, S.C. Attorneys for the Plaintiffs /s/ Robert G. Bernhoft ______________________________ ROBERT G. BERNHOFT, ESQ. Wisconsin Bar No. 1032777 1402 E. Cesar Chavez Street Austin, Texas 78704

IT IS SO ORDERED.

Source:  Leagle

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