Nevada West Petroleum, LLC v. BP West Coast Products, LLC, et al.,
Filing
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ORDER granting 67 Stipulation re 63 MOTION for Attorney Fees and Costs. Replies due by 11/28/2016. Signed by Magistrate Judge Peggy A. Leen on 11/17/2016. (Copies have been distributed pursuant to the NEF - DKJ)
Case 2:15-cv-01684-APG-PAL Document 67 Filed 11/15/16 Page 1 of 3
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JEFFREY I. PITEGOFF, ESQ./ Nevada Bar No. 005458
CHRISTOPHER A. TURTZO, ESQ./ Nevada Bar No. 10253
MORRIS, SULLIVAN, LEMKUL & PITEGOFF
3770 Howard Hughes Parkway, Suite 170
Las Vegas, Nevada 89169
Telephone No. (702) 405-8100
Fax No. (702) 405-8101
turtzo@morrissullivanlaw.com
Attorneys for Plaintiffs
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
NEVADA WEST PETROLEUM, LLC, a
Nevada limited liability company;
QUARAMAN MESQUITE, LLC, a Nevada
limited liability company; and QUARAMAN
SUNSET / DECATUR, LLC, a Nevada
Limited Liability Company
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Plaintiffs,
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vs.
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BP WEST COAST PRODUCTS, LLC,, a
Delaware limited liability company; TESORO
REFINING & MARKETING COMPANY;
LLC, a Delaware limited liability company,
TREASURE FRANCHISE COMPANY,
LLC, a Delaware limited liability company;
DEREK TOMITA, an individual; MICHAEL
GLASSMAN, an individual; and JEFF
CAREY, an individual.
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Case No. 2:15-CV-01684-APG-PAL
STIPULATION TO EXTEND
DEADLINES TO FILE RESPONSE TO
DEFENDANTS’ APPLICATION FOR
ATTORNEYS’ FEES AND COSTS
(ECF DOC. # 63)
(FIRST REQUEST)
Defendants.
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On November 1, 2016, Defendants filed their Application for Attorneys’ Fees and Costs
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(ECF Doc.# 63). The current deadline for Plaintiffs to file their response is November 15, 2016.
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The parties hereto, by and through the undersigned counsel of record, hereby stipulate
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and agree to extend the deadline for plaintiffs to respond by one day, to November 16, 2016. The
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parties additionally agree to extend the deadline for Defendants to file any reply to Plaintiffs’
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response by one judicial day, from November 25, 2016 to November 28, 2016.
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///
Case 2:15-cv-01684-APG-PAL Document 67 Filed 11/15/16 Page 2 of 3
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This is the first request for an extension of this deadline. The reason for the requested
extension is that the parties were in Florida for the deposition of Plaintiff’s expert, which was
conducted on November 14, and, due to travel schedules, Plaintiffs require one additional day to
finalize their response to the Defendants’ motion.
The motion has not been set for hearing. Accordingly, the parties believe that extending
the response and reply deadlines by a single day will not prejudice any party or the Court’s
schedule.
DATED this 15th day of November, 2016.
MORRIS, SULLIVAN, LEMKUL &
PITEGOFF
FENNEMORE CRAIG
/s/ Christopher Turtzo_____________
JEFFREY I. PITEGOFF, ESQ.
Nevada Bar No. 005458
CHRISTOPHER A. TURTZO, ESQ.
Nevada Bar No. 010253
3770 Howard Hughes Parkway, Suite 170
Las Vegas, NV 89169
Attorney for Plaintiffs
/s/ Courtney Beller____________
DOUGLAS C. NORTHRUP (Admitted
Pro Hac Vice)
COURTNEY R. BELLER
Nevada Bar No. 12073
2394 E. Camelback Road, Suite 600
Phoenix, Arizona 85016-3429
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CHRISTOPHER H. BYRD
Nevada Bar No. 1633
300 S. Fourth Street, Suite 1400
Las Vegas, Nevada 89101
Attorneys for Defendants
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IT IS SO ORDERED.
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_____________________________________
_____________________________________
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United States Di r Cou Magistrate Judge
United States District Court Magistrate Judge
n
ate District ou
ourt
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dge
dg
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November 17, 2016
Dated:_______________________________
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Case 2:15-cv-01684-APG-PAL Document 67 Filed 11/15/16 Page 3 of 3
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CERTIFICATE OF SERVICE
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Pursuant to FRCP 5(b), I certify that on this 15th day of November, 2016, I served a true
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and correct copy of the foregoing STIPULATION AND ORDER TO EXTEND THE
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DEADLINE FOR PLAINTIFFS TO RESPOND TO THE DEFENDANTS’ APPLICATION
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FOR ATTORNEYS’ FEES AND COSTS on all parties in this action by Electronic Mail through
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the United States District Court’s CM/ECF Filing System.
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DATED this 15th day of November, 2016
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/s/ Allyson Lodwick
An Employee of MORRIS, SULLIVAN, LEMKUL &
PITEGOFF
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