Elawyers Elawyers
Washington| Change

Chemeon Surface Technology, LLC v. Metalast International, Inc., 3:15-cv-00294-MMD-VPC (2018)

Court: District Court, D. Nevada Number: infdco20180409b34 Visitors: 8
Filed: Apr. 05, 2018
Latest Update: Apr. 05, 2018
Summary: STIPULATION and [PROPOSED] ORDER TO EXTEND BRIEFING SCHEDULE [FIRST REQUEST] MIRANDA M. DU , District Judge . Plaintiff/Counter defendants CHEMEON Surface Technology and Counter Defendants Dean S. Meiling and Madylon Meiling (collectively "CHEMEON"), by and through their undersigned counsel, Robert C. Ryan of Holland & Hart, LLP; Defendants Metalast International, Inc., Metalast, Inc., Sierra Dorado, Inc., David M. Semas, and Counterclaimants Metalast International, Inc. and David M. Semas
More

STIPULATION and [PROPOSED] ORDER TO EXTEND BRIEFING SCHEDULE [FIRST REQUEST]

Plaintiff/Counter defendants CHEMEON Surface Technology and Counter Defendants Dean S. Meiling and Madylon Meiling (collectively "CHEMEON"), by and through their undersigned counsel, Robert C. Ryan of Holland & Hart, LLP; Defendants Metalast International, Inc., Metalast, Inc., Sierra Dorado, Inc., David M. Semas, and Counterclaimants Metalast International, Inc. and David M. Semas (collectively "Metalast Defendants"), by and through their undersigned counsel, Michael D. Hoy of Hoy Chrissinger Kimmel Vallas, PC, stipulate and agree as follows:

1. The Court entered its Order (ECF No. 398) concerning three motions for summary judgment (ECF Nos. 313, 314, 331) on March 30, 3018.

2. The Order directed CHEMEON and the Metalast Defendants to provide supplemental briefing within seven (7) days of the Order.

3. Pursuant to the Order, the supplemental briefing is due April 6, 2018.

4. The parties agree to a short extension to April 10, 2018, within which to file the supplemental briefs.

5. This extension is agreed to and requested from the Court because counsel for Plaintiff has had matters requiring immediate action this week which has impacted the ability to finalize the briefing required by this Court. Counsel for the Metalast Defendants has no objection to the short extension.

6. This is the first request for an extension of time to file the supplemental briefs.

7. This request for an extension is made in good faith and not for purposes of delay.

IT IS SO STIPULATED.

PROOF OF SERVICE

Pursuant to FRCP 5, I, Gay Groves, declare, as follows:

I am employed in the City of Reno, County of Washoe, State of Nevada, by the law offices of Holland & Hart. My business address is 5441 Kietzke Lane, Second Floor, Reno, Nevada 89511. I am over the age of 18 years and not a party to this action.

I am readily familiar with Holland & Hart's practice for collection and processing of: HAND DELIVERIES, FACSIMILES and OUTGOING MAIL. Such practice in the ordinary course of business provides for the delivery or faxing and/or mailing with the United States Postal Service, to occur on the same day the document is collected and processed.

On April 5, 2018, I served the foregoing, STIPULATION and [PROPOSED] ORDER TO EXTEND BRIEFING SCHEDULE [FIRST REQUEST], as follows:

[✓] ELECTRONIC: by electronic transmission through the United States District Court's CM/ECF system to the parties below: Michael D. Hoy HOY CHRISSINGER KIMMEL Bank of America Tower 50 West Liberty Street, Suite 840 Reno, Nevada 89501 Telephone: (775) 786-8000 Facsimile: (775) 786-7426 mhoy@nevadalaw.com Attorneys for Defendants [✓] U.S. MAIL: by placing a true copy thereof in Holland & Hart's outgoing mail in a sealed envelope addressed as follows: Marc Harris 2471 Morning Dew Drive Brea, CA 92821 Telephone: 714-642-1021 Email: Marcharr3@hotmail.com

I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct, and that this declaration was executed on April 5, 2018.

/s/Gay Groves
Source:  Leagle

Can't find what you're looking for?

Post a free question on our public forum.
Ask a Question
Search for lawyers by practice areas.
Find a Lawyer