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Garcia v. Equifax Information Services, LLC, 2:17-cv-03123-JAD-VCF. (2019)

Court: District Court, D. Nevada Number: infdco20190522d33 Visitors: 11
Filed: May 20, 2019
Latest Update: May 20, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND AND EQUIFAX TO REPLY TO MOTION TO DISMISS [SECOND REQUEST] JENNIFER A. DORSEY , District Judge . Plaintiffs Oscar L. Garcia; Donald S. Sutton, and Clarence Williams, ("Plaintiffs"), and Defendant Equifax Information Services, LLC ("Equifax") by and through their counsel of record have agreed and stipulated to the following: 1. On December 8, 2017, Plaintiffs filed a Complaint [ECF Dkt. 1]. 2. On December 29, 2017, Plaintiffs f
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STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND AND EQUIFAX TO REPLY TO MOTION TO DISMISS

[SECOND REQUEST]

Plaintiffs Oscar L. Garcia; Donald S. Sutton, and Clarence Williams, ("Plaintiffs"), and Defendant Equifax Information Services, LLC ("Equifax") by and through their counsel of record have agreed and stipulated to the following:

1. On December 8, 2017, Plaintiffs filed a Complaint [ECF Dkt. 1].

2. On December 29, 2017, Plaintiffs filed an Amended Complaint [ECF Dkt. 4].

3. On February 28, 2018 Equifax filed a Motion to Dismiss the Amended Complaint [ECF Dkt. 9].

4. On March 27, 2018, Plaintiffs filed a Second Amended Complaint [Dkt. 18]

5. On April 11, 2018, Equifax filed a Motion to Dismiss Second Amended Complaint [Dkt. 20].

6. On April 12, 2019, Plaintiffs filed a Third Amended Complaint [Dkt. 27].

7. On April 26, 2019, Equifax filed a Motion to Dismiss Third Amended Complaint [Dkt. 28]

8. The Parties stipulated to extend their briefing responses. [Dkt. 31]

9. Plaintiff's Response is due May 20, 2019.

10. Plaintiff and Equifax have agreed to extend Plaintiffs' response ten days, and Equifax's reply, in order for the parties to have adequate time to prepare their briefs. As a result, both Plaintiffs and Equifax hereby request this Court to further extend the date for Plaintiffs to respond to Equifax's Motion to Dismiss Third Amended Complaint until May 30, 2019, and to further extend the date for Equifax to reply in support of its Motion to Dismiss until June 20, 2019. This stipulation is made in good faith, is not interposed for delay, and is not filed for an improper purpose.

IT IS SO STIPULATED.

KNEPPER & CLARK LLC SNELL & WILMER LLP /s/ Miles N. Clark /s/ Bradley T. Austin Matthew I. Knepper, Esq. Bradley T. Austin, Esq. Nevada Bar No. 12796 Nevada Bar No. 13064 Miles N. Clark, Esq. 3883 Howard Hughes Parkway, Suite 500 Nevada Bar No. 13848 Las Vegas, NV 89169 10040 W. Cheyenne Ave., Suite 170-109 Email: baustin@clarkhill.com Las Vegas, NV 89129 Email: matthew.knepper@knepperclark.com KING & SPALDING Email: miles.clark@knepperclark.com Zachary A McEntyre, Esq. (Pro Hac Vice) Misty L. Peterson, Esq. (Pro Hac Vice) HAINES & KRIEGER LLC Kevin Jordan O'Brien, Esq. (Pro Hac Vice) David H. Krieger, Es 1180 Peachtree Street NE Nevada Bar No. 9086 Atlanta, GA 30309 8985 S. Eastern Avenue, Suite 350 Email: mpeterson@kslaw.com Henderson, NV 89123 Email: zmcentyre@kslaw.com Email: dkrieger@hainesandkrieger.com Email: kobrien@kslaw.com Counsel for Plaintiff Counsel for Defendant Equifax Information Services LLC

ORDER GRANTING STIPULATION TO EXTEND TIME FOR PLAINTIFF TO RESPOND AND EQUIFAX TO REPLY TO EQUIFAX'S MOTION TO DISMISS THIRD AMENDED COMPLAINT

IT IS SO ORDERED.

Source:  Leagle

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