Filed: Jun. 03, 2019
Latest Update: Jun. 03, 2019
Summary: JOINT MOTION FOR EXTENSION OF TIME FOR AMERICAN HONDA FINANCE CORPORATION TO FILE A REPLY IN SUPPORT OF MOTION TO DISMISS FIRST AMENDED COMPLAINT (First Request) JAMES C. MAHAN , District Judge . Defendant, AMERICAN HONDA FINANCE CORPORATION (erroneously sued as American Honda Finance, and hereinafter "AHFC"), by and through its counsel of record, CHAD C. BUTTERFIELD, ESQ., of the law firm WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER LLP, and Plaintiff, ERIC STEINMETZ, by and through his cou
Summary: JOINT MOTION FOR EXTENSION OF TIME FOR AMERICAN HONDA FINANCE CORPORATION TO FILE A REPLY IN SUPPORT OF MOTION TO DISMISS FIRST AMENDED COMPLAINT (First Request) JAMES C. MAHAN , District Judge . Defendant, AMERICAN HONDA FINANCE CORPORATION (erroneously sued as American Honda Finance, and hereinafter "AHFC"), by and through its counsel of record, CHAD C. BUTTERFIELD, ESQ., of the law firm WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER LLP, and Plaintiff, ERIC STEINMETZ, by and through his coun..
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JOINT MOTION FOR EXTENSION OF TIME FOR AMERICAN HONDA FINANCE CORPORATION TO FILE A REPLY IN SUPPORT OF MOTION TO DISMISS FIRST AMENDED COMPLAINT
(First Request)
JAMES C. MAHAN, District Judge.
Defendant, AMERICAN HONDA FINANCE CORPORATION (erroneously sued as American Honda Finance, and hereinafter "AHFC"), by and through its counsel of record, CHAD C. BUTTERFIELD, ESQ., of the law firm WILSON, ELSER, MOSKOWITZ, EDELMAN & DICKER LLP, and Plaintiff, ERIC STEINMETZ, by and through his counsel of record, MILES N. CLARK, ESQ. of the law firm KNEPPER & CLARK LLC hereby jointly move to extend AHFC's deadline to file a Reply in Support of Motion to Dismiss Amended Complaint by seven (7) days.
1. On January 10, 2019, Plaintiff filed a Complaint (ECF No. 1).
2. On March 1, 2019, AHFC filed an Answer to the Complaint (ECF No. 42).
3. On March 11, 2019, Plaintiff filed an Amended Complaint (ECF No. 44).
4. On April 3, 2019, AHFC filed a Motion to Dismiss the Amended Complaint (ECF No. 60).
5. On May 22, 2019, Plaintiff filed a Response to AHFC's Motion to Dismiss the Amended Complaint (ECF No. 92).
6. AHFC and Plaintiff have agreed to extend the deadline for AHFC to file its Reply in Support of Motion to Dismiss the Amended Complaint by seven (7) days to allow AHFC to further consider the issues in Plaintiff's Response to the Motion to Dismiss, as well as to continue exploration of the resolution of this case. As a result, both AHFC and Plaintiff request this Court to further extend the date for AHFC to file its Reply in Support of Motion to Dismiss Amended Complaint until June 5, 2019. This joint motion is made in good faith, is not interposed for delay, and is not filed for an improper purpose.
IT IS SO STIPULATED
DATED this 29th day of May, 2019.
WILSON, ELSER, MOSKOWITZ,
EDELMAN & DICKER LLP
/s/ Chad C. Butterfield
Chad C. Butterfield, Esq.
Nevada Bar No. 10532
300 South Fourth Street, 11th Floor
Las Vegas, NV 89101
Attorneys for Defendant American Honda
Finance Corporation
DATED this 29th day of May, 2019.
KNEPPER & CLARK LLC
/s/ Miles N. Clark
Matthew I. Knepper, Esq.
Nevada Bar No. 12796
Miles N. Clark, Esq.
Nevada Bar No. 13848
10040 W. Cheyenne Ave., Suite 170-109
Las Vegas, NV 89129
Attorney for Plaintiff Eric Steinmetz
ORDER
GOOD CAUSE SHOWN, IT IS SO ORDERED.