Oliver v. Bell Trans et al
Filing
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ORDER Granting 48 Stipulation to Stay All Proceedings (Seventh Request). Signed by Judge Jennifer A. Dorsey on 8/31/17. (Copies have been distributed pursuant to the NEF - MR)
Case 2:16-cv-00305-JAD-PAL Document 48 Filed 08/28/17 Page 1 of 3
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LEON GREENBERG, ESQ., SBN 8094
DANA SNIEGOCKI, ESQ., SBN 11715
Leon Greenberg Professional Corporation
2965 South Jones Blvd- Suite E3
Las Vegas, Nevada 89146
Tel (702) 383-6085
Fax (702) 385-1827
leongreenberg@overtimelaw.com
dana@overtimelaw.com
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UNITED STATES DISTRICT COURT
DISTRICT OF NEVADA
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CAMERON E. OLIVER, Individually and on
behalf of others similarly situated,
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CASE NO.: 2:16-cv-00305-JAD-PAL
Plaintiff,
JOINT NOTICE OF SETTLEMENT
AND STIPULATION AND ORDER TO
STAY ALL PROCEEDINGS
vs.
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BELL TRANS, a Nevada Corporation, and
BRENT J. BELL,
(SEVENTH REQUEST)
Defendants.
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Defendants Bell Trans and Brent J. Bell (collectively, “Bell Trans” or “Defendants”), and
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Plaintiff Cameron E. Oliver, (“Plaintiff”), through their counsel of record, submit the below
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stipulation to extend the stay of all proceedings in the above captioned matter. On June 19, 2017,
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after being notified that the parties had agreed to settle, on a collective and class-wide basis, all
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disputes and claims related to this litigation and related litigation (Case No. 2:15-cv-01066-
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MMDPAL, Willie Thurmond v. Presidential Limousine), the Court granted the parties’
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stipulation to stay this matter until July 27, 2017 in order to allow the parties time to set forth in
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greater detail the terms of the parties’ settlement, as well as to allow Plaintiff’s counsel time to
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file a motion seeking the Court’s approval of the settlement terms. ECF No. 45. The Court
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extended that requested stay pursuant to the parties’ further stipulation and order, such order
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Case 2:16-cv-00305-JAD-PAL Document 48 Filed 08/28/17 Page 2 of 3
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continuing the stay of this matter until August 28, 2017. ECF No. 47. While the parties have
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been working diligently to finalize all settlement documents for presentation to the Court, they
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require additional time and respectfully stipulate as follows:
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The parties agree to stay all proceedings in the above captioned matter for a period of 30
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additional days beyond the current stay, ending on August 28, 2017, to allow for the preparation
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and finalization of appropriate settlement documents. As set forth herein, this is the parties’ third
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request to stay this matter for the purpose of memorializing their negotiations into settlement
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documents. If this stipulation is granted, the current stay shall be extended until Wednesday,
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September 27, 2017.
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The forgoing request for stay is made in good faith not for the purpose of delay.
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Dated: August 31, 2017.
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IT IS SO ORDERED.
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__________________________________
UNITED STATES DISTRICT JUDGE
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Case 2:16-cv-00305-JAD-PAL Document 48 Filed 08/28/17 Page 3 of 3
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Dated: August 28, 2017
Dated: August 28, 2017
Respectfully submitted,
Respectfully submitted,
/s/ Dana Sniegocki
LEON GREENBERG, ESQ.
DANA SNIEGOCKI, ESQ.
LEON GREENBERG
PROFESSIONAL CORPORATION
2965 South Jones Blvd., #E3
Las Vegas, NV 89146
Tel (702) 383-6085
Fax (702) 385-1827
Attorneys for Plaintiffs
/s/ Peter Navarro
ANTHONY L. HALL, ESQ.
PETER NAVARRO, ESQ.
HOLLAND & HART LLP
5441 Kietzke Lane, Second Floor
Reno, NV 89511
Tel: (775) 327-3000
Fax: (775) 786-6169
Attorneys for Defendants
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IT IS SO ORDERED:
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United States District Judge
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