Filed: Dec. 12, 2019
Latest Update: Dec. 12, 2019
Summary: STIPULATION TO SET BRIEFING SCHEDULE FOR DEFENDANTS' MOTION TO DISMISS GLORIA M. NAVARRO , District Judge . This stipulation is entered into by Plaintiffs Sarah Simmons, Aaron McAllister, and ROI-IT, LLC (collectively, "Plaintiffs"), on the one hand, and Defendants Cachet Financial Services ("Cachet") and Financial Business Group Holdings ("FBG" and together with Cachet, "Defendants"), on the other hand, by and through their respective counsel, with reference to the following facts and reci
Summary: STIPULATION TO SET BRIEFING SCHEDULE FOR DEFENDANTS' MOTION TO DISMISS GLORIA M. NAVARRO , District Judge . This stipulation is entered into by Plaintiffs Sarah Simmons, Aaron McAllister, and ROI-IT, LLC (collectively, "Plaintiffs"), on the one hand, and Defendants Cachet Financial Services ("Cachet") and Financial Business Group Holdings ("FBG" and together with Cachet, "Defendants"), on the other hand, by and through their respective counsel, with reference to the following facts and recit..
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STIPULATION TO SET BRIEFING SCHEDULE FOR DEFENDANTS' MOTION TO DISMISS
GLORIA M. NAVARRO, District Judge.
This stipulation is entered into by Plaintiffs Sarah Simmons, Aaron McAllister, and ROI-IT, LLC (collectively, "Plaintiffs"), on the one hand, and Defendants Cachet Financial Services ("Cachet") and Financial Business Group Holdings ("FBG" and together with Cachet, "Defendants"), on the other hand, by and through their respective counsel, with reference to the following facts and recitals:
a) Plaintiffs filed their first amended complaint on December 9, 2019;
b) The existing deadline for Defendants to respond to Plaintiffs' complaint is December 23, 2019;
c) Defendants have represented to Plaintiffs that, in response to the first amended complaint, they intend to file a motion to dismiss, or, in the alternative, to transfer venue or for a more definite statement;
d) To accommodate the parties' holiday, travel, and work schedules, the parties have agreed to set a briefing schedule for Defendants' motion;
e) This Court previously granted an extension to respond to the original complaint on October 25, 2019 (ECF No. 24).
f) Defendants have not previously requested an extension of the deadline to respond to the first amended complaint.
NOW, THEREFORE, the parties hereby stipulate and agree, subject to Court approval, to set the following briefing schedule for Defendants' motion in response to the first amended complaint:
• Opening Motion: January 8, 2020
• Opposition: January 31, 2020
• Reply: February 10, 2020
Nothing in this stipulation shall be construed as a waiver or relinquishment of any party's rights, remedies, objections, or defenses, all of which are expressly reserved.
DATED December 11, 2019. DATED December 11, 2019.
MCNUTT LAW FIRM, P.C. SEMENZA KIRCHER RICKARD
/s/ Dan McNutt /s/ Lawrence J. Semenza, III.
Daniel R. McNutt, Esq. (SBN 7815) Lawrence J. Semenza, III, Esq. (SBN 7174)
Matthew C. Wolf, Esq. (SBN 10801) Christopher D. Kircher, Esq. (SBN 11176)
625 South Eighth Street Jarrod L. Rickard, Esq. (SBN 10203)
Las Vegas, Nevada 89101 Katie L. Cannata, Esq. (SBN 14848)
Counsel for Defendants Cachet Financial 10161 Park Run Drive, Suite 150
Services and Financial Business Group Holdings Las Vegas, Nevada 89145
Counsel for Plaintiffs
IT IS SO ORDERED.