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Murray v. Provident Trust Group, LLC, 2:18-cv-01382-MMD-GWF. (2019)

Court: District Court, D. Nevada Number: infdco20190628d55 Visitors: 7
Filed: Jun. 27, 2019
Latest Update: Jun. 27, 2019
Summary: ORDER RE: STIPULATION AND [PROPOSED] ORDER TO EXTEND BRIEFING SCHEDULE ON DEFENDANTS' MOTION TO DISMISS FIRST AMENDED COMPLAINT MIRANDA M. DU , District Judge . Plaintiffs Noel C. Murray, Dr. Swarna Perera, and Joyce E. Friedman ("Plaintiffs"), by and through their counsel of record, the Law Office of Hayes & Welsh, the Law Office of Christopher J. Gray, P.C., and the Law Offices of Joshua B. Kons, LLC, and Defendant Provident Trust Group, LLC, by and through its counsel of record, Greenber
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ORDER RE: STIPULATION AND [PROPOSED] ORDER TO EXTEND BRIEFING SCHEDULE ON DEFENDANTS' MOTION TO DISMISS FIRST AMENDED COMPLAINT

Plaintiffs Noel C. Murray, Dr. Swarna Perera, and Joyce E. Friedman ("Plaintiffs"), by and through their counsel of record, the Law Office of Hayes & Welsh, the Law Office of Christopher J. Gray, P.C., and the Law Offices of Joshua B. Kons, LLC, and Defendant Provident Trust Group, LLC, by and through its counsel of record, Greenberg Traurig, LLP, hereby stipulate and request that the Court extend the time by which Plaintiffs must file papers in opposition to Defendant's Motion to Dismiss Plaintiffs' First Amended Complaint (DE 49, the "Motion to Dismiss") until and including, July 26, 2019. This Stipulation is made and based upon the following:

1. Plaintiffs filed their First Amended Class Action Complaint on May 8, 2019, in which they allege Defendant breached contractual duties as custodian of Plaintiffs' Individual Retirement Accounts. [ECF No. 46]. Plaintiffs seek certification to represent a class of similarly situated individuals across the country. Id. 2. Defendant filed the Motion to Dismiss on June 21, 2019 and Plaintiffs' opposition papers are currently due on July 5, 2019. 3. Counsel for Plaintiffs has requested additional time to evaluate the Motion to Dismiss and prepare a response, taking into account the exercise of due diligence. Counsel for Defendant has agreed to this request. 4. In light of the foregoing, the parties agree that Plaintiffs shall have up to, and including, July 26, 2019, to respond to the Motion to Dismiss. 5. This is the first request for an extension of time in this regard. This Stipulation is entered into in good faith and not for purposes of delay. DATED: June 25, 2019 DATED: June 25, 2019 THE LAW OFFICE OF HAYES & WELSH GREENBERG TRAURIG, LLP Martin L. Welsh, Esq. (Nevada Bar No. 8720) Mark E. Ferrario, Esq. (Nevada Bar. No. 1625) 199 N. Arroyo Grande Blvd., Suite 200 Jason K. Hicks, Esq. (Nevada Bar No. 13149) Henderson, Nevada 89074 10846 Griffith Peak Drive, Ste. 600 Telephone: (702) 434-3444 Las Vegas, Nevada 89135 Email: mwelsh@lvlaw.com Telephone: (702) 792-3773 Email: ferrariom@gtlaw.com Email: hicksjk@gtlaw.com Attorneys for Defendant LAW OFFICE OF CHRISTOPHER J. GRAY P.C. Christopher J. Gray, Esq. (Pro Hac Vice) 360 Lexington Avenue, 14th Floor New York, New York 10017 Telephone: (866) 966-9598 Email: chris@investorlawyers.net Email: mike@investorlawyers.net LAW OFFICES OF JOSHUA B. KONS, LLC Joshua B. Kons, Esq. (Pro Hac Vice) 100 Pearl Street, 14th Floor Hartford, CT 06103 Telephone: (860) 920-5181 Facsimile: (860) 920-5174 Email: joshuakons@konslaw.com Attorneys for Plaintiffs

IT IS SO ORDERED.

Source:  Leagle

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