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Charleston Rancho, LLC v. Stanley Convergent Security Solutions, Inc., 2:18-cv-02205 (APG VCF). (2018)

Court: District Court, D. Nevada Number: infdco20181206992 Visitors: 6
Filed: Nov. 30, 2018
Latest Update: Nov. 30, 2018
Summary: MOTION TO EXTEND TIME TO ANSWER, MOVE, OR OTHERWISE RESPOND TO COMPLAINT (First Request) CAM FERENBACH , Magistrate Judge . Pursuant to FRCP 6 (b)(1)(A), and the reasons stated below, Stanley Convergent Security Solutions, Inc. ("Stanley") moves for additional time to respond to Plaintiffs' Complaint: 1. Movant is the Defendant in the above-entitled action pursuant to a Complaint filed in the 8 th Judicial District Court, Clark County, Nevada ("State Court") on October 4, 2018, entitled
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MOTION TO EXTEND TIME TO ANSWER, MOVE, OR OTHERWISE RESPOND TO COMPLAINT (First Request)

Pursuant to FRCP 6 (b)(1)(A), and the reasons stated below, Stanley Convergent Security Solutions, Inc. ("Stanley") moves for additional time to respond to Plaintiffs' Complaint:

1. Movant is the Defendant in the above-entitled action pursuant to a Complaint filed in the 8th Judicial District Court, Clark County, Nevada ("State Court") on October 4, 2018, entitled CHARLESTON RANCHO, LLC, a Nevada limited liability company, v. STANLEY CONVERGENT SECURITY SOLUTIONS, INC., a foreign corporation; DOES I through X; and ROE CORPORATIONS XI through XX. (Case No. A-18-782271-C).

2. Movant removed this action from State Court to this Court by its Petition for Removal on November 16, 2018 [ECF Doc. 1].

3. Pursuant to Rule 81 (c)(2)(C) of the Federal Rules of Civil Procedure, Defendant currently must answer, move, or otherwise respond to the Complaint on or before November 26, 2018 (within 7 days after the notice of removal is filed).

4. Defendant respectfully moves the Court to extend the time for Defendant to answer, move, or otherwise respond to the Complaint for an additional 14 days, until on or before December 7, 2018. Defendant respectfully requests such additional time in light of the Thanksgiving holiday occurring before the current answer/response deadline, and in order for Defendant to also address this Court's order regarding Defendant's statement regarding removal [ECF Doc. 3].

5. This is Defendant's first motion for extension of time to answer, move, or otherwise respond to the Complaint, and is sought by Movant in the interests of justice.

6. Counsel for Defendant has conferred with counsel for Plaintiff, and Plaintiff is unopposed to the extension of time requested herein.

WHEREFORE, STANLEY CONVERGENT SECURITY SOLUTIONS, INC. prays that this Court grant the extension of time sought by Movant, and extend the time for Defendant to answer, move, or otherwise respond to the Complaint of an additional 14 days, until on or before December 7, 2018.

IT IS SO ORDERED.

Source:  Leagle

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