RICHARD F. BOULWARE, II, District Judge.
Kyle Entity Holdings, LLC ("
1. On January 25, 2016, KEH filed its Notice of Appeal [ECF No. 271 in BK-S-15-10116-abl] to the Order on Objection to Claim [ECF No. 169 in BK-S-15-10116-abl] entered by the United States Bankruptcy Court for the District of Nevada (the "
2. On January 25, 2016, KEH also filed its Notice of Election to Have Appeal Heard by the United States District Court Pursuant to 28 U.S.C. § 158(c)(1)(A) [ECF No. 273 in BK-S-15-10116-abl].
3. This Court entered a Minute Order in Chambers [ECF No. 5] on April 12, 2016, which provided that KEH is required to file its opening brief on or before April 29, 2016, the Kimball Hill Trusts are required to file their answering brief on or before May 16, 2016, and KEH is required to file its reply brief on or before June 2, 2016 (collectively, the "
4. On April 27, 2016, the Court entered the Stipulation and Order for Extension of Time to File Appellate Briefs [ECF No. 7] extending the briefing schedule 60 days in which KEH is required to file its opening brief on or before June 28, 2016, the Kimball Hill Trusts are required to file their answering brief on or before July 15, 2016, and KEH is required to file its reply brief on or before August 1, 2016.
5. On June 23, 2016, the Court entered the Stipulation and Order for Extension of Time to File Appellate Briefs [ECF No. 9] extending the briefing schedule 90 days in which KEH is required to file its opening brief on or before September 26, 2016, the Kimball Hill Trusts are required to file their answering brief on or before October 26, 2016, and KEH is required to file its reply brief on or before November 9, 2016.
6. The Parties have a settlement conference scheduled for September 13, 2016 in Chicago to resolve this dispute as well as related disputes.
7. The Parties have met and conferred and, subject to approval by this Court, have agreed to a 90-day extension of the Briefing Deadlines to provide the Parties additional time to seek to resolve the Appeal consensually.
8. This is the third requested extension.
9. The Parties make this request in good faith and not for the purposes of delay.