CAM FERENBACH, Magistrate Judge.
Plaintiffs, THE BOARD OF TRUSTEES OF THE CONSTRUCTION INDUSTRY AND LABORERS HEALTH AND WELFARE TRUST; THE BOARD OF TRUSTEES OF THE CONSTRUCTION INDUSTRY AND LABORERS JOINT PENSION TRUST; THE BOARD OF TRUSTEES OF THE CONSTRUCTION INDUSTRY AND LABORERS VACATION TRUST; THE BOARD OF TRUSTEES OF SOUTHERN NEVADA LABORERS LOCAL 872 TRAINING TRUST (hereinafter "Trustees"), by and through their counsel of record, The Urban Law Firm, hereby move this Court to set the deadline for Craig Ehrnreiter to Answer the Complaint by
Pursuant to the Court's Minutes of February 9, 2016 (Dkt. #49), the parties were supposed to submit a stipulation with a proposed deadline for the filing of the answer. To date, Craig Ehrnreiter has failed to file an Answer or inform this office as to when his Answer will be submitted. Undersigned counsel has contacted Mr. Ehrnreiter several times but he has refused to stipulate to a deadline and settlement discussions have ceased.
This Motion is based on the Declaration of Seth T. Floyd., Esq., pleadings on file in this matter, and the argument of counsel during any hearing this Court may hold.
IT IS HEREBY ORDERED that Craig Ehrnreiter must respond to Plaintiff's Complaint by March 21, 2016. Dispositive motions due by March 28, 2016.
The Clerk of Court is directed to mail a copy of this Order to Craig Ehrnreiter.
IT IS SO ORDERED.
I, Seth T. Floyd, declare and state as follows:
1. I am an Associate with The Urban Law Firm and I am duly licensed to practice law in the State of Nevada and before this U.S. District Court. I am counsel of record for the Plaintiffs and I am the attorney responsible for the prosecution of this action.
2. I make this Declaration in support of the Plaintiffs' Motion To Set Answering Deadline for Craig Ehrnreiter.
3. I make all statements in this Declaration based upon my personal knowledge unless stated otherwise herein.
4. Pursuant to the Court's Minutes of February 9, 2016 (Dkt. #49), if an agreement is not reached, the parties shall submit a stipulation with a proposed deadline for the filing of the answer.
5. On February 18, 2016, I contacted Craig Ehrnreiter via e-mail to inquire as to the date he would submit his Answer. I have also spoken to him on the phone several times but he has refused to provide an answering deadline. Settlement discussions have also stalled.
6. Accordingly, I respectfully request that this Court set an answering deadline preferably on or before March 14, 2016.
I declare under penalty of perjury under the laws of the United States and the State of Nevada that the foregoing is true and correct, and if called as a witness, I could and would competently testify thereto.