Virga v. CFI Sales & Marketing, Ltd. et al
Filing
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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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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
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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JANINE VIRGA,
Case No.: 2:15-cv-00207-APG-PAL
Plaintiff,
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vs.
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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,
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STIPULATION AND ORDER
EXTENDING TIME FOR DEFENDANTS
TO ANSWER OR OTHERWISE
RESPOND TO PLAINTIFF’S
COMPLAINT
(First Request)
Defendants.
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Defendants, CFI SALES & MARKETING, LTD., CFI SALES & MARKETING, INC.,
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CFI RESORTS MANAGEMENT, INC., CFI SALES & MARKETING, LLC, WESTGATE
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RESORTS, LTD, WESTGATE RESORTS, INC. and WESTGATE MARKETING, LLC,
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(collectively “Defendants”), by and through their attorneys of record, James E. Smyth, II, Esq. of
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the law firm KAEMPFER CROWELL, and Plaintiff JANINE VIRGA (“VIRGA”), by and
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through her counsel of record, Christian Gabroy, Esq. of the law firm GABROY LAW
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OFFICES, hereby respectfully submit this Stipulation and Order Extending Time For Defendants
1591706_2.docx 11943.22
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to Answer or Otherwise Respond to Plaintiff’s Complaint (the “Stipulation”). This Stipulation is
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made in accordance with LR 6-1, LR 6-2, and LR 7-1 of the Local Rules of this Court. This is
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the first request for an extension of time to file an answer or otherwise respond to VIRGA’s
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Complaint (“Complaint”).
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requires additional time to review the underlying allegations and pleadings and to then prepare
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an appropriate response.
Counsel for Defendants has a significant current case load and
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The parties respectfully request that this Court grant an extension of time for Defendants
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to file their Answer or otherwise respond to VIRGA’s Complaint for an additional fourteen (14)
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days, up to and including March 2, 2015. By entering into this Stipulation, none of the parties
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waive any rights they have under statute, law or rule with respect to VIRGA’s Complaint.
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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
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IT IS SO ORDERED:
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________________________________________
UNITED STATES DISTRICT COURT JUDGE
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3rd
DATED this _____ day of______________, 2015.
March
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