Brown v. Resortstay International, LLC, 2:16-cv-02747-JAD-VCF. (2019)
Court: District Court, D. Nevada
Number: infdco20190507b20
Visitors: 4
Filed: May 06, 2019
Latest Update: May 06, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS TO FILE THE REPLY IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT (FIRST REQUEST) JENNIFER A. DORSEY , District Judge . Defendants ResortStay International, LLC and Starpoint Resort Group, Inc. (collectively, "Defendants") and Plaintiff Rosalind Brown ("Plaintiff"), by and through their undersigned counsel, hereby stipulate and agree that Defendants' Reply in Support of Their Motion for Summary Judgment ("Reply"), which is currently due o
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS TO FILE THE REPLY IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT (FIRST REQUEST) JENNIFER A. DORSEY , District Judge . Defendants ResortStay International, LLC and Starpoint Resort Group, Inc. (collectively, "Defendants") and Plaintiff Rosalind Brown ("Plaintiff"), by and through their undersigned counsel, hereby stipulate and agree that Defendants' Reply in Support of Their Motion for Summary Judgment ("Reply"), which is currently due on..
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STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS TO FILE THE REPLY IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT
(FIRST REQUEST)
JENNIFER A. DORSEY, District Judge.
Defendants ResortStay International, LLC and Starpoint Resort Group, Inc. (collectively, "Defendants") and Plaintiff Rosalind Brown ("Plaintiff"), by and through their undersigned counsel, hereby stipulate and agree that Defendants' Reply in Support of Their Motion for Summary Judgment ("Reply"), which is currently due on May 13, 2019, be extended until May 31, 2019. This request is submitted pursuant to LR 6-1, 6-2, 7-1 and 26-4.
There is good cause for this extension. The parties have recently engaged in settlement discussions and those discussions are on-going. In order to conserve judicial resources as well as to have additional monies available for settlement purposes, the parties are requesting additional time for Defendants to file their Reply.
This Stipulation to Extend Time for Defendants to File The Reply in Support of Their Motion for Summary Judgment is not submitted for purposes of delay.
For all the reasons stated above, good cause exists to extend Defendants' Reply deadline in this matter.
LAW OFFICES OF MICHAEL P. BALABAN OGLETREE, DEAKINS, NASH, SMOAK &
STEWART, P.C.
/s/Michael P. Balaban /s/ Jill Garcia
__________________________________ _________________________________
Michael P. Balaban Anthony L. Martin
10726 Del Rudini Street Jill Garcia
Las Vegas, NV 89141 3800 Howard Hughes Parkway
Attorneys for Plaintiff Rosalind Brown Suite 1500
Las Vegas, NV 89169
Attorneys for Defendants ResortStay
International, LLC, and Starpoint Resort
Group, Inc.
ORDER
IT IS SO ORDERED.
Source: Leagle