Filed: Jul. 23, 2019
Latest Update: Jul. 23, 2019
Summary: AMENDED STIPULATION TO EXTEND DEADLINE TO RESPOND TO PLAINTIFF'S FIRST AMENDED COMPLAINT (FIRST REQUEST) BRENDA WEKSLER , Magistrate Judge . Plaintiff, Clyde C. Givens ("Plaintiff"), and Defendant, Seterus, Inc. ("Seterus") (collectively the "Parties"), by and through their counsel of record, hereby stipulate and agree as follows: On July 1, 2019, Plaintiff filed his First Amended Complaint [ECF No. 6]. Seterus was served with Plaintiff's Complaint on July 2, 2019. As such, Seterus' deadl
Summary: AMENDED STIPULATION TO EXTEND DEADLINE TO RESPOND TO PLAINTIFF'S FIRST AMENDED COMPLAINT (FIRST REQUEST) BRENDA WEKSLER , Magistrate Judge . Plaintiff, Clyde C. Givens ("Plaintiff"), and Defendant, Seterus, Inc. ("Seterus") (collectively the "Parties"), by and through their counsel of record, hereby stipulate and agree as follows: On July 1, 2019, Plaintiff filed his First Amended Complaint [ECF No. 6]. Seterus was served with Plaintiff's Complaint on July 2, 2019. As such, Seterus' deadli..
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AMENDED STIPULATION TO EXTEND DEADLINE TO RESPOND TO PLAINTIFF'S FIRST AMENDED COMPLAINT
(FIRST REQUEST)
BRENDA WEKSLER, Magistrate Judge.
Plaintiff, Clyde C. Givens ("Plaintiff"), and Defendant, Seterus, Inc. ("Seterus") (collectively the "Parties"), by and through their counsel of record, hereby stipulate and agree as follows:
On July 1, 2019, Plaintiff filed his First Amended Complaint [ECF No. 6]. Seterus was served with Plaintiff's Complaint on July 2, 2019. As such, Seterus' deadline to respond to the Complaint is July 23, 2019. The Parties have discussed extending the deadline for Seterus to respond to Plaintiff's Complaint by two weeks while the Parties explore the potential for settlement.
WHEREAS, the Parties hereby stipulate and agree to extend the deadline for Seterus to file its responsive pleading to Plaintiff's Complaint to August 6, 2019.
This is the first stipulation for extension of time for Seterus to file its responsive pleading. The extension is requested in good faith and is not for purposes of delay or prejudice to any other party.
As part of this stipulation, Seterus agrees to participate in any Rule 26(f) conference that occurs during the pendency of this extension.
DATED this 22nd day of July, 2019 DATED this 22nd day of July, 2019
WRIGHT, FINLAY & ZAK, LLP KNEPPER & CLARK LLC
/s/ Ramir M. Hernandez, Esq. /s/ Shaina R. Plaksin, Esq.
R. Samuel Ehlers, Esq. Matthew I. Knepper, Esq.
Nevada Bar No. 9313 Nevada Bar No. 12796
Ramir M. Hernandez, Esq. Miles N. Clark, Esq.
Nevada Bar No. 13146 Nevada Bar No. 13848
7785 W. Sahara Ave., Suite 200 Shaina R. Plaksin, Esq.
Las Vegas, NV 89117 Nevada Bar No. 13935
Attorneys for Defendant, Seterus, Inc. 10040 W. Cheyenne Ave., Suite 170-109
Las Vegas, NV 89129
Attorneys for Plaintiff, Clyde Givens
IT IS SO ORDERED.