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)
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
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?