Oliver v. Bell Trans et al

Filing 49

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)

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Case 2:16-cv-00305-JAD-PAL Document 48 Filed 08/28/17 Page 1 of 3 1 2 3 4 5 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 6 7 8 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 9 10 11 CAMERON E. OLIVER, Individually and on behalf of others similarly situated, 12 13 CASE NO.: 2:16-cv-00305-JAD-PAL Plaintiff, JOINT NOTICE OF SETTLEMENT AND STIPULATION AND ORDER TO STAY ALL PROCEEDINGS vs. 14 15 16 BELL TRANS, a Nevada Corporation, and BRENT J. BELL, (SEVENTH REQUEST) Defendants. 17 Defendants Bell Trans and Brent J. Bell (collectively, “Bell Trans” or “Defendants”), and 18 19 Plaintiff Cameron E. Oliver, (“Plaintiff”), through their counsel of record, submit the below 20 stipulation to extend the stay of all proceedings in the above captioned matter. On June 19, 2017, 21 after being notified that the parties had agreed to settle, on a collective and class-wide basis, all 22 disputes and claims related to this litigation and related litigation (Case No. 2:15-cv-01066- 23 24 MMDPAL, Willie Thurmond v. Presidential Limousine), the Court granted the parties’ 25 stipulation to stay this matter until July 27, 2017 in order to allow the parties time to set forth in 26 greater detail the terms of the parties’ settlement, as well as to allow Plaintiff’s counsel time to 27 file a motion seeking the Court’s approval of the settlement terms. ECF No. 45. The Court 28 extended that requested stay pursuant to the parties’ further stipulation and order, such order 1 Case 2:16-cv-00305-JAD-PAL Document 48 Filed 08/28/17 Page 2 of 3 1 continuing the stay of this matter until August 28, 2017. ECF No. 47. While the parties have 2 been working diligently to finalize all settlement documents for presentation to the Court, they 3 require additional time and respectfully stipulate as follows: 4 The parties agree to stay all proceedings in the above captioned matter for a period of 30 5 additional days beyond the current stay, ending on August 28, 2017, to allow for the preparation 6 7 and finalization of appropriate settlement documents. As set forth herein, this is the parties’ third 8 request to stay this matter for the purpose of memorializing their negotiations into settlement 9 documents. If this stipulation is granted, the current stay shall be extended until Wednesday, 10 September 27, 2017. 11 The forgoing request for stay is made in good faith not for the purpose of delay. 12 13 /// Dated: August 31, 2017. 14 15 IT IS SO ORDERED. /// 16 __________________________________ UNITED STATES DISTRICT JUDGE 17 18 /// 19 20 /// 21 22 /// 23 24 25 /// 26 27 /// 28 2 Case 2:16-cv-00305-JAD-PAL Document 48 Filed 08/28/17 Page 3 of 3 1 2 3 4 5 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 6 7 8 9 10 11 12 13 14 15 16 IT IS SO ORDERED: 17 18 United States District Judge 19 20 21 22 23 24 25 26 27 28 3

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