Virga v. CFI Sales & Marketing, Ltd. et al

Filing 16

ORDER Granting 12 Stipulation Extending Time for Defendants to Answer Complaint. Signed by Judge Andrew P. Gordon on 3/3/2015. (Copies have been distributed pursuant to the NEF - DC)

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1 2 3 4 5 JAMES E. SMYTH, II Nevada Bar No. 6506 KAEMPFER CROWELL 8345 West Sunset Road, Suite 250 Las Vegas, Nevada 89113 Telephone: (702) 792-7000 Fax: (702) 796-7181 jsmyth@kcnvlaw.com Attorneys for Defendants 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 JANINE VIRGA, Case No.: 2:15-cv-00207-APG-PAL Plaintiff, 9 10 vs. 11 CFI SALES & MARKETING, LTD, d/b/a and a/k/a WESTGATE RESORTS; CFI SALES & MARKETING, INC., d/b/a and a/k/a WESTGATE RESORTS; CFI RESORTS MANAGEMENT, INC.; CFI SALES & MARKETING, LLC; WESTGATE RESORTS, LTD; WESTGATE RESORTS, INC., WESTGATE MARKETING, LLC; DOES 1 through 10 and ROE Corporations 11 through 20, inclusive, 12 13 14 15 16 STIPULATION AND ORDER EXTENDING TIME FOR DEFENDANTS TO ANSWER OR OTHERWISE RESPOND TO PLAINTIFF’S COMPLAINT (First Request) Defendants. 17 18 Defendants, CFI SALES & MARKETING, LTD., CFI SALES & MARKETING, INC., 19 CFI RESORTS MANAGEMENT, INC., CFI SALES & MARKETING, LLC, WESTGATE 20 RESORTS, LTD, WESTGATE RESORTS, INC. and WESTGATE MARKETING, LLC, 21 (collectively “Defendants”), by and through their attorneys of record, James E. Smyth, II, Esq. of 22 the law firm KAEMPFER CROWELL, and Plaintiff JANINE VIRGA (“VIRGA”), by and 23 through her counsel of record, Christian Gabroy, Esq. of the law firm GABROY LAW 24 OFFICES, hereby respectfully submit this Stipulation and Order Extending Time For Defendants 1591706_2.docx 11943.22 Page 1 of 2 1 to Answer or Otherwise Respond to Plaintiff’s Complaint (the “Stipulation”). This Stipulation is 2 made in accordance with LR 6-1, LR 6-2, and LR 7-1 of the Local Rules of this Court. This is 3 the first request for an extension of time to file an answer or otherwise respond to VIRGA’s 4 Complaint (“Complaint”). 5 requires additional time to review the underlying allegations and pleadings and to then prepare 6 an appropriate response. Counsel for Defendants has a significant current case load and 7 The parties respectfully request that this Court grant an extension of time for Defendants 8 to file their Answer or otherwise respond to VIRGA’s Complaint for an additional fourteen (14) 9 days, up to and including March 2, 2015. By entering into this Stipulation, none of the parties 10 waive any rights they have under statute, law or rule with respect to VIRGA’s Complaint. 11 12 13 DATED this 19th day of February, 2015. DATED this 19th day of February, 2015. KAEMPFER CROWELL GABROY LAW OFFICES By: /s/James E. Smyth II James E Smyth II Nevada Bar No. 6506 8345 West Sunset Road, Suite 250 Las Vegas, Nevada 89113 Attorneys for Defendants By: /s/Christian Gabroy Christian Gabroy, Esq. Nevada Bar No. 8805 The District at Green Valley Ranch 170 South Green Valley Parkway, Suite 280 Henderson, NV 89012 Attorneys For Plaintiff 14 15 16 17 18 19 20 IT IS SO ORDERED: 21 ________________________________________ UNITED STATES DISTRICT COURT JUDGE 22 3rd DATED this _____ day of______________, 2015. March 23 24 1591706_2.docx 11943.22 Page 2 of 2

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