Copper Sands Homeowners Association, Inc. et al v. Copper Sands Realty, LLC et al
Filing
869
ORDER Granting 868 Stipulation re 861 MOTION for Attorney Fees. Responses due by 3/21/2016. Signed by Magistrate Judge Nancy J. Koppe on 3/10/16. (Copies have been distributed pursuant to the NEF - TR)
Case 2:10-cv-00510-GMN-NJK Document 868 Filed 03/10/16 Page 1 of 2
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Terry L. Wike, Esq.
Nevada Bar No.: 7211
LAW OFFICES OF TERRY L. WIKE
9500 W. Flamingo Rd., Suite 108
Las Vegas, Nevada 89147
Phone: (702) 870-9898
Fax: (702) 870-0582
Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
DISTRICT OF NEVADA
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9500 W. Flamingo Rd., Suite 108 • Las Vegas, Nevada 89147
Telephone (702) 870-9898
Facsimile (702) 870-0582
THE LAW OFFICES OF TERRY L. WIKE
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COPPER SANDS HOMEOWNERS
ASSOCIATION, INC., a Nevada non-profit
corporation, on their own behalf and on behalf
of all others similarly situated; and POE
HOMEOWNERS 1-2000,
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Plaintiffs,
v.
DFT, INC., a California corporation, d/b/a THE
CANNON MANAGEMENT COMPANY;
Defendants.
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Case No. 2:10-cv-00510-GMN-NJK
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STIPULATION AND ORDER TO EXTEND TIME TO FILE RESPONSE TO
MOTION FOR ATTORNEY’S FEES, COSTS AND INTEREST (SECOND REQUEST)
Plaintiff, by and through its counsel of record, Terry L. Wike, Esq. of THE LAW OFFICES
OF TERRY L. WIKE and Defendant, DFT, INC. dba THE CANNON MANAGEMENT
COMPANY, by and through its attorney of record, Andrew C. Green, Esq., of the law firm of
KOELLER NEBEKER CARLSON & HALUCK, LLP, hereby agree to a stipulated extension of
time to permit the parties and the Court to forgo briefing in response to motion practice by Plaintiff
to extend the time for its response to Defendant’s motion for attorney’s fees, costs and interest. To
that end, Defendant is in agreement to accommodate Plaintiff’s request to extend the time for its
Case 2:10-cv-00510-GMN-NJK Document 868 Filed 03/10/16 Page 2 of 2
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response until March 21, 2016. Plaintiff contends that it needs additional time to respond due to the
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number of pages of invoice related exhibits submitted in support of Defendant’s motion for
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attorney’s fees, costs and interest, and due to competing professional time commitments of
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Plaintiff’s counsel during the pendency of the motion to this point. There are approximately 1,399
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pages of billing documents appended as exhibits to motion, which Plaintiff contends require
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additional time for analysis. Defendant is willing to provide Plaintiff its requested accommodation
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in lieu of contending with a motion by Plaintiff to extend time in the amount requested herein.
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9500 W. Flamingo Rd., Suite 108 • Las Vegas, Nevada 89147
Telephone (702) 870-9898
Facsimile (702) 870-0582
THE LAW OFFICES OF TERRY L. WIKE
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Dated this 10th day of March, 2016
Dated this 10th day of March, 2016
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LAW OFFICES OF TERRY L. WIKE
KOELLER NEBEKER CARLSON &
HALUCK
/s/ Terry L. Wike
Terry L. Wike, Esq.
Nevada Bar No.: 7211
9500 W. Flamingo Rd., Suite 108
Las Vegas, Nevada 89147
Phone: (702) 870-9898
Fax: (702) 870-0582
Attorneys for Plaintiff
/s/ Andrew Green
Andrew Green, Esq.
Nevada Bar No. 9399
300 S. Fourth Street, Suite 500
Las Vegas, Nevada 89101
Phone: (702) 853-5500
Fax: (702) 853-5599
Attorneys for Defendant
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ORDER
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IT IS SO ORDERED that the time for Plaintiff to provide its response to Defendant’s
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Motion for Attorney’s Fees, Costs and Interests is extended to March 21, 2016.
10th
Dated this ______ day of March, 2016.
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______________________________________
UNITED STATE DISTRICT COURT
United States Magistrate Judge
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