Greene v. Executive Coach & Carriage
Filing
303
ORDER Granting 299 Stipulation to Extend Deadline. Discovery Plan/Scheduling Order due by 1/2/2018. Signed by Magistrate Judge Carl W. Hoffman on 1/2/2018. (Copies have been distributed pursuant to the NEF - MMM)
5
Mark R. Thierman, Nev. Bar No. 8285
Joshua D. Buck, Nev. Bar No. 12187
Leah L. Jones, Nev. Bar No. 13161
Joshua Hendrickson, Nev. Bar No. 12225
THIERMAN BUCK LLP
7287 Lakeside Drive
Reno, Nevada 89511
Tel. (775) 284-1500
Fax. (775) 703-5027
6
Attorneys for Plaintiffs
1
2
3
4
7
UNITED STATES DISTRICT COURT
THIERMAN BUCK LLP
7287 Lakeside Drive
Reno, NV 89511
(775) 284-1500 Fax (775) 703-5027
Email info@thiermanbuck.com; www.thiermanbuck.com
8
DISTRICT OF NEVADA
9
10
11
12
ROBERT GREENE, THOMAS
SCHEMKES, and GREGORY GREEN
on behalf of themselves and all others
similarly situated,
Plaintiffs,
13
14
15
16
17
18
vs.
JACOB TRANSPORTATION
SERVICES, LLC, a Nevada Corporation,
doing business as Executive Las Vegas;
JAMES JIMMERSON, an individual,
CAROL JIMMERSON, an individual,
and Does 1 through 50, inclusive,
19
STIPULATION AND [PROPOSED] ORDER
TO EXTEND DEADLINE FOR THE
PARTIES TO FILE THE PROPOSED
DISCOVERY PLAN/SCHEDULING ORDER
[FIRST REQUEST]
Defendants.
20
21
Lead Case No.: 2:09-CV-00466-GMN-CWH
Consolidated with:
Member Case No. 2:11-CV-00355-JAD-NJK
ROBERT GREENE, THOMAS SCHEMKES and GREGORY GREEN (“Plaintiffs”), by
22
and through their counsel of record THIERMAN BUCK, LLP, and JACOB
23
TRANSPORTATION, a Nevada Corporation, doing business as Executive Las Vegas, JAMES
24
JIMMERSON, an individual, and CAROL JIMMERSON (“Defendants), by and through their
25
counsel of record, LOVATO LAW FIRM, P.C., hereby stipulate to an extension of time, up to
26
and including Tuesday, January 2, 2018 in which the Parties may file their proposed discovery
27
plan/scheduling order.
28
-1STIPULATION AND [PROPOSED] ORDER TO EXTEND DEADLINE FOR THE PARTIES
TO FILE THE PROPOSED DISCOVERY PLAN/SCHEDULING ORDER
1
This extension is requested in good faith, due to the end of the Holidays and counsel
2
being away on preplanned vacations. The Parties need a few additional days to finalize their
3
discovery plan/scheduling order. This extension is not requested for the purpose of undue burden
4
or delay.
5
6
7
THIERMAN BUCK LLP
7287 Lakeside Drive
Reno, NV 89511
(775) 284-1500 Fax (775) 703-5027
Email info@thiermanbuck.com; www.thiermanbuck.com
8
Therefore, based on the foregoing and for good cause appearing, the Parties, by and
through their respective counsel of record, do hereby stipulate and agree as follows:
1)
The time for the Parties to file their proposed discovery plan/scheduling order is
extended and is now due on Tuesday, January 2, 2018.
9
10
DATED: December 28, 2017
December 28, 2017
11
THIERMAN BUCK LLP
LOVATO LAW FIRM, P.C.
/s/Joshua R. Hendrickson
Joshua R. Hendrickson
Of Counsel
Mark R. Thierman, Nev. Bar No. 8285
Joshua D. Buck, Nev. Bar No. 12187
Leah L. Jones, Nev. Bar No. 13161
7287 Lakeside Drive
Reno, Nevada 89511
Attorneys for Plaintiffs
/s/Mario Lovato
.
MARIO P. LOVATO, Nev. Bar No. 7427
7465 W. Lake Mead Blvd., Suite 100
Las Vegas, NV 89128
Attorneys for Defendants
12
13
14
15
16
17
18
19
20
21
22
23
24
25
[PROPOSED] ORDER
IT IS SO ORDERED.
January of ________________, 2017.
DATED this _____ day 2, 2018
_________________________________
UNITED STATES JUDGE
26
27
28
-2STIPULATION AND [PROPOSED] ORDER TO EXTEND DEADLINE FOR THE PARTIES
TO FILE THE PROPOSED DISCOVERY PLAN/SCHEDULING ORDER
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?