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Haywood-Aguilar v. General Motors Financial Company, 2:19-cv-00681-GMN-NJK. (2019)

Court: District Court, D. Nevada Number: infdco20190715a00 Visitors: 4
Filed: Jul. 10, 2019
Latest Update: Jul. 10, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO TRANS UNION'S MOTION TO DISMISS (First Request) GLORIA M. NAVARRO , Chief District Judge . COMES NOW Plaintiff, JOANNE HAYWOOD-AGUILAR, and Defendant, TRANSUNION LLC, hereby stipulating to extend time to file an opposition to TransUnion LLC's Motion to Dismiss Plaintiff's Complaint (Document 24), file date June 26, 2019, pursuant to LR IA 6-1. I. Plaintiff's request of 14-days extension to file an opposition A. When briefs
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STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO TRANS UNION'S MOTION TO DISMISS

(First Request)

COMES NOW Plaintiff, JOANNE HAYWOOD-AGUILAR, and Defendant, TRANSUNION LLC, hereby stipulating to extend time to file an opposition to TransUnion LLC's Motion to Dismiss Plaintiff's Complaint (Document 24), file date June 26, 2019, pursuant to LR IA 6-1.

I. Plaintiff's request of 14-days extension to file an opposition

A. When briefs are due.

At present, the deadline to file and serve any points and authorities in response to the motion is July 10, 2019. The deadline to file and serve any reply in support of the motion is July 17, 2019.

B. How many extensions of time have been granted.

This is Plaintiff's initial request to extend time to file an opposition to TransUnion LLC's Motion to Dismiss.

C. Reason why the extension is necessary.

As result of 4th of July holiday as well as conflicting professional obligations, Counsel for Plaintiff requires an additional 14 days to file an adequate response.

D. Specific amount of time requested.

Plaintiff is seeking 14 days. Accordingly, the deadline to file and serve any points and authorities in response to the motion will be July 24, 2019. The deadline to file and serve any reply in support of the motion is July 31, 2019.

II. Conclusion

WHEREFORE, Plaintiff and Defendant request that this stipulation to extend briefing schedule be granted.

IT IS SO STIPULATED.

DATED: July 10, 2019 DATED: July 10, 2019 JOANNE HAYWOOD-AGUILAR TRANSUNION LLC By: /s/Joseph S. Davidson By: /s/Trevor R. Waite Joseph S. Davidson Trevor R. Waite SULAIMAN LAW GROUP, LTD. 2500 ALVERSON TAYLOR & SANDERS South Highland Avenue, Suite 200 6605 Grand Montecito Parkway, Suite 200 Lombard, Illinois 60148 Las Vegas, Nevada 89149 630-575-8181 702-384-7000 jdavidson@sulaimanlaw.com twaite@alversontaylor.com

ORDER

IT IS SO ORDERED.

Source:  Leagle

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