McSwiggin et al v. Omni Limousine

Filing 108

ORDER granting 107 Stipulation; Re: 102 Motion to Enforce, Responses due by 4/15/2019. Signed by Judge James C. Mahan on 1/25/2019. (Copies have been distributed pursuant to the NEF - JM)

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Case 2:14-cv-02172-JCM-NJK Document 107 Filed 01/22/19 Page 1 of 2 1 2 3 4 5 GARG GOLDEN LAW FIRM ANTHONY B. GOLDEN, ESQ. Nevada Bar No. 9563 MARGARET G. FOLEY, ESQ. Nevada Bar No. 7703 3145 St. Rose Parkway, Suite 230 Henderson, Nevada 89052 Tel: (702) 850-0202 Fax: (702) 850-0204 Email: agolden@garggolden.com 6 Counsel for Defendant Omni Limousine 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 10 CHRISTY MCSWIGGIN, ET AL., CASE NO.: 2:14-cv-02172-JCM-NJK Plaintiffs, 11 12 vs. STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF TIME TO RESPONDE TO PLAINTIFFS’ MOTOIN TO ENFORCE SETTLEMENT 13 OMNI LIMOUSINE, 14 Defendant. [THIRD REQUEST] 15 16 RONALD KEEN, ET AL., CASE NO.: 2:16-cv-01903-JCM-GWF 17 Plaintiffs, 18 vs. 19 20 21 OMNI LIMOUSINE, Defendant. 22 23 Plaintiffs and Defendant, by and through their attorneys of record, hereby stipulate to an 24 extension of the deadline for Defendant to file a response to Plaintiffs’ Motion to Enforce 25 Settlement (ECF No. 102) from January 21, 2019 to Monday, April 15, 2019. Defendants have 26 tendered two settlement checks to Plaintiffs’ counsel of the six remaining payments for the 27 settlement. Defendant’s counsel is now in possession of the remaining four remining checks for 28 the settlement and will tender them at appropriate time intervals to ensure completion of the GARG GOLDEN LAW FIRM 3145 St. Rose Parkway Suite 230 Henderson, Nevada 89052 (702) 850-0202 1 of 2 Case 2:14-cv-02172-JCM-NJK Document 107 Filed 01/22/19 Page 2 of 2 1 settlement in this case in March 2019. Accordingly, the parties and their counsel stipulate to this 2 extension to the extent there is a problem with any of the remaining payments necessitating 3 Plaintiff’s pending motion to proceed. Provided all remaining settlement payments are made by 4 the end of March 2019, Plaintiff’s counsel will withdraw the motion. This stipulation is not made 5 for the purpose of delay but to allow sufficient to finalize the settlement in this matter and make 6 continued motion practice unnecessary. 7 IT IS SO STIPULATED. 8 DATED January 22, 2019. DATED January 22, 2019. 9 THIERMAN BUCK LLP GARG GOLDEN LAW FIRM By: /s/ Joshua D. Buck Mark R. Thierman, Esq. Joshua D. Buck, Esq. Leah L. Jones, Esq. Joshua R. Hendrickson, Esq. 7287 Lakeside Drive Reno, NV 89511 Tel. 775-284-1500 By: /s/ Anthony B. Golden Anthony B. Golden, Esq. Margaret G. Foley, Esq. 3145 St. Rose Parkway, Suite 230 Henderson, NV 89052 Tel: (702) 850-0202 10 11 12 13 14 15 Attorneys for Plaintiffs Attorneys for Defendant 16 17 ORDER 18 IT IS SO ORDERED. 19 20 21 UNITED STATES DISTRICT JUDGE 22 23 DATED: January 25, 2019 24 25 26 27 28 GARG GOLDEN LAW FIRM 3145 St. Rose Parkway Suite 230 Henderson, Nevada 89052 (702) 850-0202 2 of 2

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