Filed: Jun. 06, 2019
Latest Update: Jun. 06, 2019
Summary: STIPULATION AND ORDER TO EXTEND DEADLINE TO RESPOND TO DEFENDANT'S MOTION TO DISMISS, OR IN THE ALTERNATIVE, TO SEVERE/BIFURCATE AND TO STAY CLAIMS FOR BAD FAITH ANDREW P. GORDON , District Judge . The above named parties, by and through their respective, undersigned counsel of record, hereby stipulate to a one-week extension of time for Plaintiff to respond to Defendant's Motion to Dismiss, or In the Alternative, To Sever/Bifurcate And to Stay Claims For Bad Faith, on file herein. (ECF No.
Summary: STIPULATION AND ORDER TO EXTEND DEADLINE TO RESPOND TO DEFENDANT'S MOTION TO DISMISS, OR IN THE ALTERNATIVE, TO SEVERE/BIFURCATE AND TO STAY CLAIMS FOR BAD FAITH ANDREW P. GORDON , District Judge . The above named parties, by and through their respective, undersigned counsel of record, hereby stipulate to a one-week extension of time for Plaintiff to respond to Defendant's Motion to Dismiss, or In the Alternative, To Sever/Bifurcate And to Stay Claims For Bad Faith, on file herein. (ECF No. ..
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STIPULATION AND ORDER TO EXTEND DEADLINE TO RESPOND TO DEFENDANT'S MOTION TO DISMISS, OR IN THE ALTERNATIVE, TO SEVERE/BIFURCATE AND TO STAY CLAIMS FOR BAD FAITH
ANDREW P. GORDON, District Judge.
The above named parties, by and through their respective, undersigned counsel of record, hereby stipulate to a one-week extension of time for Plaintiff to respond to Defendant's Motion to Dismiss, or In the Alternative, To Sever/Bifurcate And to Stay Claims For Bad Faith, on file herein. (ECF No. 5).
REASONS FOR REQUESTED EXTENSION
Defendant filed its Motion to Dismiss, or In the Alternative, To Sever/Bifurcate and To Stay Claims For Bad Faith (ECF No. 5) on May 24, 2019, and Plaintiff's response is due on or before June 7, 2019. However, due to the undersigned's upcoming trial schedule, Plaintiff requested, and Defendant's counsel kindly agreed, to extend the deadline for Plaintiff to respond to Defendant's Motion to June 14, 2019.
The parties further stipulate that the time for Defendant to prepare any Reply also be adjusted accordingly.
The parties enter this stipulation in good faith, and not for reasons of delay or any other untoward purpose.
DATED this 5th day of June, 2019. DATED this 5th day of June, 2019,
McCORMICK, BARSTOW, SHEPPARDLADAH LAW FIRM
WAYTE & CARRUTH, LLP
/s/: Wade M. Hansard, Esq. /s/Anthony L Ashby, Esq.
_____________________________________ ________________________________________
WADE M. HANSARD RAMZY PAUL LADAH
Nevada Bar No. 8104 Nevada Bar No. 11405
JONATHAN W. CARLSON ANTHONY L. ASHBY
Nevada Bar No. 8104 Nevada Bar No. 4911
8337 W. Sunset Road, Suite 350 517 South Third Street
Las Vegas, Nevada 89113 Las Vegas, NV 89101
Attorneys for Defendant Attorneys for Plaintiff
ORDER
IT IS SO ORDERED.