BONDI v. NATIONSTAR MORTGAGE, LLC, 2:14-cv-001215-LDG-GWF. (2016)
Court: District Court, D. Nevada
Number: infdco20160601c56
Visitors: 16
Filed: May 26, 2016
Latest Update: May 26, 2016
Summary: STIPULATION FOR EXTENSION OF TIME FOR PLAINTIFF TO RESPOND TO DEFENDANTS' MOTIONS FOR SUMMARY JUDGMENT (SECOND REQUEST) LLOYD D. GEORGE , District Judge . The parties respectfully submit the following Stipulation to allow Plaintiff, Michael Bondi, an additional ten (10) days to file his response to Defendants' respective Motions for Summary Judgment currently due on May 23, 2016 pursuant to ECF No. 61. Plaintiff's new counsel is requesting additional time to review the entire file and prep
Summary: STIPULATION FOR EXTENSION OF TIME FOR PLAINTIFF TO RESPOND TO DEFENDANTS' MOTIONS FOR SUMMARY JUDGMENT (SECOND REQUEST) LLOYD D. GEORGE , District Judge . The parties respectfully submit the following Stipulation to allow Plaintiff, Michael Bondi, an additional ten (10) days to file his response to Defendants' respective Motions for Summary Judgment currently due on May 23, 2016 pursuant to ECF No. 61. Plaintiff's new counsel is requesting additional time to review the entire file and prepa..
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STIPULATION FOR EXTENSION OF TIME FOR PLAINTIFF TO RESPOND TO DEFENDANTS' MOTIONS FOR SUMMARY JUDGMENT
(SECOND REQUEST)
LLOYD D. GEORGE, District Judge.
The parties respectfully submit the following Stipulation to allow Plaintiff, Michael Bondi, an additional ten (10) days to file his response to Defendants' respective Motions for Summary Judgment currently due on May 23, 2016 pursuant to ECF No. 61. Plaintiff's new counsel is requesting additional time to review the entire file and prepare Plaintiff's responses to Defendants' Motions based on the Defendants each filed their respective Motions for Summary Judgment on April 13, 2016(ECF Nos. 53 and 57). Plaintiff's responses are currently due by May 23, 2016. Pursuant to the stipulation of the parties, Plaintiff shall have an additional ten (10) days, up to and including June 3, 2016 to file his responses to the respective Motions for Summary Judgment.
BEIGHLEY, MYRICK & UDELL, PA AKERMAN, LLP
/s/ /s/
_________________________________ ________________________________
Maury L. Udell, Esq. (FBN 121673) Ariel E. Stern, Esq. (SBN 8276)
Appearing Pro Hac Vice Allison R. Schmidt, Esq.
150 West Flagler Street, #1800 1160 Town Center Dr., Suite 330
Miami, FL 33133 Las Vegas, NV 89144
mudell@bmulaw.com ariel.stern@akerman.com
Attorney for Plaintiff Allison.schmidt@akerman.com
Attorney's for Defendants
FULLER LAW PRACTICE, PC
/s/
__________________________________
Rebecca A. Fuller, Esq. (SBN 9809)
500 N. Rainbow Blvd., Suite 300
Las Vegas, NV 89107
rfuller@fullerlawpractice.com
Attorney for Plaintiff
ORDER
IT IS SO ORDERED:
Source: Leagle