Hyundai Motor America, Inc. v. Midwest Industrial Supply Company, 2:17-cv-03010-JCM-GWF. (2018)
Court: District Court, D. Nevada
Number: infdco20180511798
Visitors: 8
Filed: May 02, 2018
Latest Update: May 02, 2018
Summary: STIPULATION FOR EXTENSION OF TIME TO ANSWER COMPLAINT (First Request) GEORGE FOLEY, JR. , Magistrate Judge . WHEREAS, 1) Defendant Midwest Industrial Supply Company was served with the Complaint in this matter on or about January 4, 2018. 2) Plaintiffs and Defendant are engaged in settlement discussions and believe that some additional time is necessary to facilitate their ongoing discussions. 3) Defendant shall answer or otherwise respond to Plaintiffs' Complaint on or before May 31,
Summary: STIPULATION FOR EXTENSION OF TIME TO ANSWER COMPLAINT (First Request) GEORGE FOLEY, JR. , Magistrate Judge . WHEREAS, 1) Defendant Midwest Industrial Supply Company was served with the Complaint in this matter on or about January 4, 2018. 2) Plaintiffs and Defendant are engaged in settlement discussions and believe that some additional time is necessary to facilitate their ongoing discussions. 3) Defendant shall answer or otherwise respond to Plaintiffs' Complaint on or before May 31, 2..
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STIPULATION FOR EXTENSION OF TIME TO ANSWER COMPLAINT
(First Request)
GEORGE FOLEY, JR., Magistrate Judge.
WHEREAS,
1) Defendant Midwest Industrial Supply Company was served with the Complaint in this matter on or about January 4, 2018.
2) Plaintiffs and Defendant are engaged in settlement discussions and believe that some additional time is necessary to facilitate their ongoing discussions.
3) Defendant shall answer or otherwise respond to Plaintiffs' Complaint on or before May 31, 2018.
4) Plaintiffs and Defendant, in good faith and not for the purpose of delay, stipulate and agree that Defendant shall have until May 31, 2018, in which to answer or otherwise respond to the Complaint.
THEREFORE, IT IS SO STIPULATED AND AGREED BY THE PARTIES, REPRESENTED BY THE UNDERSIGNED:
HELLMUTH & JOHNSON, PLLC PISANELLI BICE, PLLC
By: /s/ Jonathan D. Jay By: /s/ M. Magali Mercera
Jonathan D. Jay (Bar No. 18603X) James J. Pisanelli (Bar No. 4027)
Pro Hac Vice forthcoming M. Magali Mercera (Bar No. 11742)
8050 West 78th Street 400 S. 7th Street, Suite 300
Edina, MN 55439 Las Vegas, NV 89101
Tel: (952) 941-4005 Tel.: (702) 214-2100
Fax: (952) 941-2337 Fax: (702) 214-2101
jjay@hjlawfirm.com jjp@pisanellibice.com
mmm@pisanellibice.com
Attorneys for Defendant Midwest
Industrial Supply Company
Attorneys for Plaintiffs
ATKIN WINNER & SHERROD PILLSBURY WINTHROP SHAW
PITTMAN LLP
By: /s/ Christine M. Booze By: /s/ Kenneth E. Kelly
Christine M. Booze (Bar No. 7610) Kenneth E. Kelly (Bar No. 71450)
1117 South Rancho Drive Christopher E. Stretch (Bar No. 166752)
Las Vegas, Nevada 89102 Four Embarcadero Center, 22nd Floor
Tel: (702) 243-7000 San Francisco, CA 94111
Fax: (702) 243-0759 Tel.: (415) 983-1084
cbooze@awslawyers.com Fax: (415) 249-8466
kenneth.keller@pillsburylaw.com
Attorneys for Defendant Midwest christopher.stretch@pillsburylaw.com
Industrial Supply Company
Attorneys for Plaintiffs
IT IS SO ORDERED.
Source: Leagle