Ruhlmann et al v. Rudolfsky et al

Filing 256

ORDER Granting 254 Stipulation to Stay all pending deadlines and filings until 3/1/2018. Signed by Judge Richard F. Boulware, II on 1/25/2018. (Copies have been distributed pursuant to the NEF - SLD)

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1 2 3 4 5 6 Hannah C. Irsfeld, Esq. Nevada Bar No. 5376 Irsfeld & Associates, LLC 2400 South Cimarron Road, Suite 140 Las Vegas, NV 89117 (702) 734-0400 (702) 734-0441 Fax hirsfeld@irsfeldlaw.com Counsel for Plaintiffs UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 9 JAMES RUHLMANN and ERIC SAMBOLD, 10 11 12 13 14 Plaintiffs, vs. GLENN RUDOLFSKY, individually, KIM RUDOLFSKY, individually, and HOUSE OF DREAMS KAUAI, INC., a New York domestic corporation, 15 16 Case No.: 2:14-cv-00879-RFB-NJK STIPULATION AND ORDER TO EXTEND STAY OF PROCEEDINGS Defendants. Et al. 17 18 As outlined in the Joint Status Report filed contemporaneously herewith (Doc 253), the parties 19 hereby stipulate and agree to stay all deadlines and filing requirements until March 1, 2018, pending 20 the parties’ efforts to effectuate a global resolution of this matter. 21 The parties submit this stipulation in accordance with their July 31, 2017 global agreement to 22 resolve this matter and their January 4, 2018 agreement on the completion of certain terms required 23 to effectuate the July 31, 2017 agreement. The parties’ agreements are subject to certain terms and 24 documentation, including confidentiality except as necessary for Defendants’ financing and further 25 court proceedings. The parties agreed they would not dismiss their claims pending completion of the 26 terms of the resolution in the event of non-compliance, which they agree will occur by February 15, 27 2018. These terms include Defendants’ obtaining financing with a third party; the execution of further 28 documentation as may be required by the Court or the settlement agreement and Plaintiffs’ Page 1 1 cooperation in providing information requested by Defendants’ lender; Plaintiffs’ execution of a 2 Request for Verification of Mortgage form; the parties’ agreement on a final draft of a settlement and 3 release agreement showing that the settlement fully satisfies the mortgage recorded by Eric Sambold 4 Trust; Defendants’ dismissal of their third party complaint (Doc 230) and withdrawal of their motions 5 to lift stay and enforce settlement agreement and for attorney’s fees (Docs 245 and 246); a lump sum 6 payment by Defendants; and, the execution of any documentation required to request and effectuate 7 a stay of these proceedings pending documentation of the terms required. 8 Consequently, the parties respectfully request this Court order a stay of all pending deadlines 9 and filings in this matter until March 1, 2018. 10 DATED this 5th day of January, 2018. 11 12 13 14 15 /s/Hannah C. Irsfeld_______________ Hannah C. Irsfeld, Esq. Nevada Bar No. 5376 Irsfeld & Associates, LLC 2400 South Cimarron Road, Suite 140 Las Vegas, NV 89117 Counsel for Plaintiffs /s/ Valerie Del Grosso________________ Valerie L. Del Grosso, Esq. Nevada Bar No. 11103 Del Grosso Law, Ltd. 4974 S. Rainbow Blvd., Suite 100 Las Vegas, NV 89118 Counsel for Defendants 16 17 18 19 ORDER 25th IT IS SO ORDERED on this ______ day of January 2018. 20 21 _______________________________ RICHARD F. BOULWARE, II United States District Judge 22 23 Respectfully submitted by: 24 /s/Hannah C. Irsfeld______________ Hannah C. Irsfeld, Esq. Nevada Bar No. 5376 2400 South Cimarron Road, Suite 140 Las Vegas, NV 89117 Counsel for Plaintiffs 25 26 27 28 Page 2

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