Nationstar Mortgage, LLC v. The Springs at Spanish Trail Association et al
Filing
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ORDER Granting 23 Stipulation to Extend Time to Reply to 12 Motion to Dismiss. Reply due by 9/4/2015. Signed by Judge Jennifer A. Dorsey on 8/31/2015. (Copies have been distributed pursuant to the NEF - DC)
Case 2:15-cv-01217-JAD-GWF Document 23 Filed 08/31/15 Page 1 of 2
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LEACH JOHNSON SONG & GRUCHOW
SEAN L. ANDERSON
Nevada Bar No. 7259
RYAN D. HASTINGS
Nevada Bar No. 12394
8945 W. Russell Road, Suite 330
Las Vegas, NV 89148
Telephone:
(702) 538-9074
Facsimile:
(702) 538-9113
sanderson@leachjohnson.com
rhastings@leachjohnson.com
Attorneys for Defendant The
Springs at Spanish Trail Association
LEACH JOHNSON SONG & GRUCHOW
8945 West Russell Road, Suite 330, Las Vegas, NV 89148
Telephone: (702) 538-9074 – Facsimile (702) 538-9113
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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NATIONSTAR MORTGAGE, LLC,
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Plaintiff,
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vs.
THE SPRINGS AT SPANISH TRAIL
ASSOCIATION; SATICOY BAY, LLC,
SERIES 6974 EMERALD SPRINGS; DOE
INDIVIDUALS I-X, inclusive, and ROE
CORPORATIONS I-X, inclusive,
Case No.:
2:15-cv-01217-JAD-GWF
STIPULATION AND ORDER FOR AN
EXTENSION OF TIME FOR
DEFENDANT SPRINGS AT SPANISH
TRAIL ASSOCIATION TO REPLY IN
SUPPORT OF ITS MOTION TO
DISMISS (#12)
SECOND REQUEST
Defendants.
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Plaintiff Nationstar Mortgage, LLC. (“Nationstar”) and Defendant Springs at Spanish
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Trail Association (“Association”), by and through their undersigned counsel, hereby stipulate
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and agree as follows:
1. Association filed a Motion to Dismiss Nationstar’s Complaint on July 21, 2015 (#12).
2. Nationstar filed its Opposition to Motion to Dismiss on August 11, 2015 (#16).
3. Pursuant to Local Rule, a Reply in Support of Association’s Motion to Dismiss is due
on or before August 21, 2015.
Nationstar and the Association by and through their counsel hereby agree and stipulate to
allow the Association an additional one (1) week extension of time to file its Reply in support of
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Case 2:15-cv-01217-JAD-GWF Document 23 Filed 08/31/15 Page 2 of 2
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its Motion to Dismiss. This additional time is appropriate because counsel for the parties in this
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case are also involved in numerous cases pending in this Court, and counsel for the Association
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is facing imminent briefing deadlines in some of these cases. The Association shall have up to
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and including September 4, 2015, to file its Reply.
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DATED this 31st day of August, 2015.
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LEACH JOHNSON SONG & GRUCHOW
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By:
LEACH JOHNSON SONG & GRUCHOW
8945 West Russell Road, Suite 330, Las Vegas, NV 89148
Telephone: (702) 538-9074 – Facsimile (702) 538-9113
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/s/ Ryan D. Hastings ______________
SEAN L. ANDERSON
Nevada Bar No. 7259
RYAN D. HASTINGS
Nevada Bar No. 12394
8945 West Russell Road, Suite 330
Las Vegas, Nevada 89148
Phone: (702) 538-9074
Attorneys for Defendant Silver Turtle
Homeowners Association
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DATED this 31st day of August, 2015.
AKERMAN LLP
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By:
/s/ Steven Shevorski________
Melanie D. Morgan
Nevada Bar No. 8215
Steven Shevorski
Nevada Bar No. 8256
Christine M. Parvan
Nevada Bar No. 10711
1160 Town Center Drive, Suite 330
Las Vegas, Nevada 89144
Phone: (702) 634-5000
Attorneys for Plaintiff Nationstar
Mortgage
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ORDER
IT IS SO ORDERED.
Dated this ______ day of August,2015.
31st day of August, 2015.
_____________________________________________
UNITED STATES DISTRICT COURT JUDGE
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