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Costello v. Glen Wood Company, 2:19-cv-01752-APG-BNW. (2020)

Court: District Court, D. Nevada Number: infdco20200227717 Visitors: 10
Filed: Feb. 20, 2020
Latest Update: Feb. 20, 2020
Summary: STIPULATION AND ORDER TO EXTEND DATE BY WHICH THIRD-PARTY DEFENDANTS SPEEDWAY MOTORSPORTS, LLC AND SPEEDWAY MOTORSPORTS, INC. SHALL HAVE TO RESPOND OR OTHERWISE ANSWER THE THIRD-PARTY COMPLAINT (FIRST REQUEST) BRENDA WEKSLER , Magistrate Judge . Plaintiff ANDREA NICOLE COSTELLO, Defendant/Third-Party Plaintiff GLEN WOOD COMPANY d/b/a WOOD BROTHERS RACING ("Glen Wood"), and Third-Party Defendants SPEEDWAY MOTORSPORTS, LLC ("SML") and SPEEDWAY MOTORSPORTS, INC. ("SMI," together with SMI, "Sp
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STIPULATION AND ORDER TO EXTEND DATE BY WHICH THIRD-PARTY DEFENDANTS SPEEDWAY MOTORSPORTS, LLC AND SPEEDWAY MOTORSPORTS, INC. SHALL HAVE TO RESPOND OR OTHERWISE ANSWER THE THIRD-PARTY COMPLAINT (FIRST REQUEST)

Plaintiff ANDREA NICOLE COSTELLO, Defendant/Third-Party Plaintiff GLEN WOOD COMPANY d/b/a WOOD BROTHERS RACING ("Glen Wood"), and Third-Party Defendants SPEEDWAY MOTORSPORTS, LLC ("SML") and SPEEDWAY MOTORSPORTS, INC. ("SMI," together with SMI, "Speedway Defendants"), by and through their respective undersigned counsel, respectfully submit this STIPULATION AND ORDER TO EXTEND DATE BY WHICH THIRD-PARTY DEFENDANTS SPEEDWAY MOTORSPORTS, LLC AND SPEEDWAY MOTORSPORTS, INC. SHALL HAVE TO RESPOND OR OTHERWISE ANSWER THE THIRD-PARTY COMPLAINT (FIRST REQUEST) pursuant to Rules 6(b) of the Federal Rules of Civil Procedure and Local Rules IA 6-1 and 7-1 for the Court's consideration. The parties hereby stipulate that the time for the Speedway Defendants to respond or otherwise answer Glen Wood's Third-Party Complaint may be extended to Monday, March 23, 2020, and the stipulating parties request that the Court approve the requested extension of time.

This is the first extension of time requested by the Speedway Defendants in this matter. The extension will allow the Speedway Defendants to further investigate the matter and respond appropriately. This request is made in good faith with no intent to cause delay or prejudice to any party. The Speedway Defendants do not wave and hereby reserve all available defenses, including all defenses under Rule 12(b) of the Federal Rules of Civil Procedure.

Dated this 19th day of February 2020. Dated this 19th day of February 2020. COGBURN LAW TYSON & MENDES LLP /s/ Joseph J. Troiano, Esq. /s/ Thomas E. McGrath, Esq. Jamie S. Cogburn, Esq. Thomas E. McGrath, Esq. Nevada Bar No. 8409 Nevada Bar No. 7086 Joseph J. Troiano, Esq. Rachel J. Holzer, Esq. Nevada Bar No. 12505 Nevada Bar No. 11604 2580 St. Rose Parkway, Suite 330 3960 Howard Hughes Parkway, Suite 600 Henderson, Nevada 89074 Las Vegas, NV 89169 Attorneys for Plaintiff Attorneys for Defendant

IT IS SO ORDERED.

Source:  Leagle

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