Federal Trade Commission v. Ewing et al
Filing
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ORDER Granting 83 Stipulation Modifying the Case Management Order. Signed by Judge Richard F. Boulware, II on 7/21/2015. (Copies have been distributed pursuant to the NEF - DC)
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ELSIE B. KAPPLER
ALEJANDRO G. ROSENBERG
Federal Trade Commission
600 Pennsylvania Ave., N.W.
CC-9528
Washington, DC 20580
(202) 326-2466 (Kappler)
(202) 326-2698 (Rosenberg)
(202) 326-3197 (Fax)
Email: ekappler@ftc.gov; arosenberg@ftc.gov
Attorneys for Plaintiff Federal Trade Commission
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UNITED STATES DISTRICT COURT
DISTRICT OF NEVADA
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FEDERAL TRADE COMMISSION,
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Plaintiff,
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Case No. 2:14-cv-000683-RFB-VCF
v.
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CRYSTAL EWING, individually and as a director
or officer of Classic Productions, LLC;
CLASSIC PRODUCTIONS, LLC, a Nevada
limited liability corporation;
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GLOBAL ACCESS MANAGEMENT
SYSTEMS, INC., a Nevada company, also d/b/a
Citra-Slim 4;
RICKI BLACK, individually and as an officer or
director of Global Access Management Systems,
Inc.;
HEALTH NUTRITION PRODUCTS, LLC, a
Delaware limited liability company, also d/b/a
HNP LLC, d/b/a W8-B-Gone, and d/b/a Quick &
Easy;
HOWARD RAFF, a/k/a HOWARD BRUCE,
individually and as an officer or director of Health
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JOINT STIPULATION BETWEEN
THE FTC AND CRYSTAL EWING
AND CLASSIC PRODUCTIONS,
LLC [AND PROPOSED ORDER]
MODIFYING THE CASE
MANAGEMENT ORDER
SOLELY AS TO THOSE PARTIES
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Nutrition Products, LLC;
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DAVID RAFF, individually and as a de facto
officer or director of Health Nutrition Products,
LLC;
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OMNI PROCESSING CENTER, a Nevada
company;
MBE MANAGEMENT LLC, a Nevada limited
liability company;
SHIRLEY MURPHY, individually and as a
director or officer of Omni Processing Center;
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and
RONALD BOYDE, individually and as a director
or officer of Omni Processing Center and a de
facto director or officer of MBE Management
LLC,
Defendants.
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Plaintiff Federal Trade Commission (“FTC”) and Defendants Crystal Ewing and Classic
Productions, LLC (collectively “The Parties”) hereby agree and stipulate as follows:
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The Parties have agreed to a proposed settlement.
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All settlements must be approved by the full Federal Trade Commission
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(“Commission”).
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3.
The FTC filed its Motion for Summary Judgment (ECF #73) on July 1, 2015.
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4.
Defendants Ewing and Classic Productions’ Opposition is currently due on July
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23, 2015.
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5.
Should the Commission reject the proposed settlement, the Parties agree that
Defendants Ewing and Classic Productions’ Opposition to the FTC’s Motion for Summary
Judgment shall be due 21 days after the Parties alert the Court that the Commission has rejected
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the proposed settlement. The FTC would then have 14 days from the date of Defendants Ewing
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and Classic Production’s Opposition to file its Reply.
[PAGE ENDS HERE]
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6.
This Joint Stipulation is made without prejudice to any party’s ability to apply to
the Court for any further or additional relief.
Dated: July 13, 2015
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Respectfully submitted,
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/s/ Elsie B. Kappler
______________________________________
ELSIE B. KAPPLER
ALEJANDRO G. ROSENBERG
Federal Trade Commission
600 Pennsylvania Ave., NW
Maildrop CC-9528
Washington, D.C. 20580
(202) 326-2466 (Kappler)
(202) 326-2698 (Rosenberg)
(202) 326-3197 (Fax)
Email: ekappler@ftc.gov; arosenberg@ftc.gov
Attorneys for Plaintiff
FEDERAL TRADE COMMISSION
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/s/ Steven Dilibero
__________________________________________
Steven Dilibero
130 Dorrance Street
Providence, RI 02903
(401) 621-9700
Email: sdilibero@diliberoandassociates.com
Attorney for Defendants Crystal Ewing and Classic
Productions, LLC
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ORDER
IT IS SO ORDERED.
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_____________________________________________
RICHARD F. BOULWARE, II
U.S. District Court Judge
DATED: July 21, 2015.
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CERTIFICATE OF SERVICE
I, Elsie B. Kappler, hereby certify that on this 13th day of July, 2015, I served the
foregoing document electronically on all counsel above via CM/ECF, and on Ricki Black via
email to ricki.black@ymail.com.
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/s/ Elsie B. Kappler
___________________________________________
Elsie B. Kappler
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