Myers v. Equifax Information Services LLC, 2:20-cv-00076-GMN-DJA. (2020)
Court: District Court, D. Nevada
Number: infdco20200207734
Visitors: 27
Filed: Feb. 03, 2020
Latest Update: Feb. 03, 2020
Summary: JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT EQUIFAX INFORMATION SERVICES LLC TO FILE ANSWER FIRST REQUEST DANIEL J. ALBREGTS , Magistrate Judge . Defendant Equifax Information Services LLC ("Equifax") has requested an extension of time to answer, move or otherwise respond to the Complaint in this matter, to which Plaintiff has no opposition. Accordingly, pursuant to LR IA 6-2, IT IS HEREBY STIPULATED AND AGREED to by and among counsel, that Defendant Equifax Information Services LLC's
Summary: JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT EQUIFAX INFORMATION SERVICES LLC TO FILE ANSWER FIRST REQUEST DANIEL J. ALBREGTS , Magistrate Judge . Defendant Equifax Information Services LLC ("Equifax") has requested an extension of time to answer, move or otherwise respond to the Complaint in this matter, to which Plaintiff has no opposition. Accordingly, pursuant to LR IA 6-2, IT IS HEREBY STIPULATED AND AGREED to by and among counsel, that Defendant Equifax Information Services LLC's ..
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JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT EQUIFAX INFORMATION SERVICES LLC TO FILE ANSWER
FIRST REQUEST
DANIEL J. ALBREGTS, Magistrate Judge.
Defendant Equifax Information Services LLC ("Equifax") has requested an extension of time to answer, move or otherwise respond to the Complaint in this matter, to which Plaintiff has no opposition. Accordingly, pursuant to LR IA 6-2, IT IS HEREBY STIPULATED AND AGREED to by and among counsel, that Defendant Equifax Information Services LLC's time to answer, move or otherwise respond to the Complaint in this action is extended from February 5, 2020 through and including March 6, 2020. The request was made by Equifax so that it can have an opportunity to collect and review its internal files pertaining to the allegations in the Complaint, and Plaintiff approves. This stipulation is filed in good faith and not intended to cause delay.
Respectfully submitted, this 31st day of January, 2020.
CLARK HILL PLLC No opposition
By: /s/ /s/
Jeremy J. Thompson David H. Krieger, Esq.
Nevada Bar No. 12503 Nevada Bar No. 9086
3800 Howard Hughes Pkwy, BHAINES & KRIEGER, LLC
Suite 500 8985 S. Eastern Ave., Suite 350
Las Vegas, NV 89169 Henderson, NV 89123
Tel: (702) 862-8300 Phone: (702) 880-5554
Fax: (702) 862-8400 Fax: (702) 385-5518
Email: jthompson@clarkhill.com Email: dkrieger@hainesandkrieger.com
Attorney for Defendant Equifax Information Attorneys for Plaintiff
Services LLC
IT IS SO ORDERED.
Source: Leagle