Kornberg v. United States of America et al

Filing 11

ORDER Granting 10 Motion to Extend Time to Answer/Respond. Department of Veteran Affairs answer due 5/29/2013; United States of America answer due 5/29/2013. Signed by Magistrate Judge Peggy A. Leen on 4/12/13. (Copies have been distributed pursuant to the NEF - MMM)

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Case 2:12-cv-01961-JCM-PAL Document 10 Filed 04/10/13 Page 1 of 3 1 2 3 4 5 6 DANIEL G. BOGDEN United States Attorney District of Nevada JUSTIN E. PINGEL Assistant United States Attorney Nevada State Bar No. 10186 333 Las Vegas Boulevard South, Suite 5000 Las Vegas, Nevada 89101 Telephone: 702-388-6336 Facsimile: 702-388-6787 Email: justin.pingel@usdoj.gov 7 Attorneys for the United States. 8 9 10 11 UNITED STATES DISTRICT COURT 12 DISTRICT OF NEVADA 13 14 15 16 17 18 19 MELVIN KORNBERG, ) ) Plaintiff, ) Case No: 2:12-CV-01961-JCM-PAL ) v. ) ) UNITED STATES OF AMERICA; ) UNITED STATES OF AMERICA ex rel. ) DEPARTMENT OF VETERANS AFFAIRS, ) DOES 1-10, inclusive; ) ROE CORPORATIONS 1-10, inclusive, ) ) Defendants. ) 20 UNOPPOSED MOTION FOR EXTENSION OF TIME 21 (Second Request) 22 The Federal Defendant United States of America, by and through Daniel G. Bogden, 23 United States Attorney, and Justin E. Pingel, Assistant United States Attorney for the District of 24 Nevada, respectfully requests an extension of time for the Federal Defendant to answer or 25 otherwise respond to the Complaint (ECF #1) until on or before May 13, 2013. An answer or 26 other response is currently due on or before April 11, 2013. 1 Case 2:12-cv-01961-JCM-PAL Document 10 Filed 04/10/13 Page 2 of 3 1 In support of the instant Motion, the Federal Defendant submits the following: 2 1. This Motion is brought in order to accommodate counsel for both parties. 3 2. On November 13, 2012, Plaintiff filed the Complaint (ECF #1). 4 3. On April 10, 2013, counsel for Plaintiff and the United States discussed and 5 agreed upon an extension of 30 days in order for Plaintiff’s counsel to further review the contract 6 claims in the complaint prior to the United States’ filing of a Motion to Dismiss said claims. 7 4. 8 WHEREFORE, for the above reasons, Federal Defendant respectfully requests the instant 9 10 11 The instant motion is filed in good faith and not for the purposes of delay. Motion extending time to answer or otherwise respond to the Complaint until on or before May 13, 2013, be granted. Respectfully submitted this 10th day of April 2013. 12 DANIEL G. BOGDEN United States Attorney 13 14 /s/Justin Pingel JUSTIN E. PINGEL Assistant United States Attorney 15 16 17 18 IT IS SO ORDERED: 19 20 _____________________________________ UNITED STATES JUDGE 21 April 12, 2013 DATED: _____________________________ 22 23 24 25 26 2

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