Federal Trade Commission v. AMG Services, Inc., 2:12-cv-00536-GMN-VCF. (2019)
Court: District Court, D. Nevada
Number: infdco20190910970
Visitors: 8
Filed: Sep. 09, 2019
Latest Update: Sep. 09, 2019
Summary: STIPULATION AND ORDER CAM FERENBACH , Magistrate Judge . Pending before this Court is proposed intervenor Deborah Moss's ("Proposed Intervenor's") Motion to Modify the Protective Order entered by this Court entered on January 11, 2013. (Doc. 1258) Responses to that Motion are due on September 10, 2019. Counsel for Proposed Intervenor and the Federal Trade Commission ("FTC") have met and conferred regarding that Motion and wish to continue to meet and confer. The parties hereto stipulate to
Summary: STIPULATION AND ORDER CAM FERENBACH , Magistrate Judge . Pending before this Court is proposed intervenor Deborah Moss's ("Proposed Intervenor's") Motion to Modify the Protective Order entered by this Court entered on January 11, 2013. (Doc. 1258) Responses to that Motion are due on September 10, 2019. Counsel for Proposed Intervenor and the Federal Trade Commission ("FTC") have met and conferred regarding that Motion and wish to continue to meet and confer. The parties hereto stipulate to e..
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STIPULATION AND ORDER
CAM FERENBACH, Magistrate Judge.
Pending before this Court is proposed intervenor Deborah Moss's ("Proposed Intervenor's") Motion to Modify the Protective Order entered by this Court entered on January 11, 2013. (Doc. 1258) Responses to that Motion are due on September 10, 2019. Counsel for Proposed Intervenor and the Federal Trade Commission ("FTC") have met and conferred regarding that Motion and wish to continue to meet and confer. The parties hereto stipulate to extend the time to respond to the Motion for thirty (30) days in the hope of resolving all issues between them raised by the Motion. No other litigant in this action has contacted Proposed Intervenor's Counsel with regard to the Motion.
WHEREFORE, the parties hereto respectfully request that the Court approve this Stipulation and permit any response to the Motion to be filed and served on or before October 10, 2019.
DATED this 6th day of September 2019.
Respectfully Submitted,
By: /s/ Craig B. Friedberg By: /s/ Kimberly L. Nelson
LAW OFFICES OF CRAIG B. FRIEDBERG KIMBERLY L. NELSON
Craig Friedberg Federal Trade Commission
4760 S Pecos Road, Suite 103 600 Pennsylvania Ave., NW
Las Vegas, NV 89121 Mailstop CC-9528
Tel. (702) 435-7968 Washington, DC 20580
Email: attcbf@cox.net knelson@ftc.gov
Tel. (202) 326-3304
Fax (202) 326-3197
KAPLAN GORE LLP
Darren T. Kaplan (pro hac vice forthcoming) Attorney for Plaintiff
1359 Broadway Suite 2001 Federal Trade Commission
New York, NY 10018
Tel: (212) 999-7370
Fax: (404) 537-3320
dkaplan@kaplangore.com
Attorneys for Proposed Intervenor Deborah
Moss and Putative Class Members
IT IS SO ORDERED.
Source: Leagle