Trustees of the Bricklayers & Allied Craftworkers Local 13 Defined Contribution Pension Trust For Southern Nevada et al v. Practical Flooring, Inc. et al
Filing
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ORDER Granting 21 Stipulation for Extension of Time re Dispositive Motion Deadline (First Request). Motions due by 11/29/2017. Signed by Magistrate Judge George Foley, Jr on 10/27/17. (Copies have been distributed pursuant to the NEF - MR)
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THE URBAN LAW FIRM
Michael A. Urban, Nevada Bar No. 3875
Sean W. McDonald, Nevada Bar No. 12817
4270 S. Decatur Blvd., Suite A-9
Las Vegas, NV 89103
T: (702) 968-8087
F: (702) 968-8088
murban@theurbanlawfirm.com
smcdonald@theurbanlawfirm.com
Counsel for Plaintiffs
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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TRUSTEES OF THE BRICKLAYERS &
ALLIED CRAFTWORKERS LOCAL 13
DEFINED CONTRIBUTION PENSION TRUST
FOR SOUTHERN NEVADA; et al.,
Plaintiffs,
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Case No. 2:16-cv-00510-GMN-GWF
STIPULATION TO EXTEND
DISPOSITIVE MOTION DEADLINE
vs.
PRACTICAL FLOORING, INC., a Nevada
corporation; and DANETTE BORDLEMAYROYBAL aka DANETTE ROYBAL, an
individual,
(First Request)
Defendants.
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IT IS HEREBY STIPULATED AND AGREED, by and between the parties’ counsel of record,
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and subject to the approval of the Court, that the dispositive motion deadline be extended 30 days to
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November 29, 2017. The current deadline is October 30, 2017. Discovery has closed.
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The parties report that they have reached a tentative settlement of this matter, subject to reducing
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the settlement to writing and executing the same. Thus, the parties request 30 days within which to
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finalize settlement. Within 30 days, the parties expect to file a stipulation for dismissal, a status report,
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or, in the event any remaining contingencies to settlement are not able to be removed and a written
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settlement agreement is signed by the parties, to file dispositive motions.
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This is the parties’ first request for an extension of the dispositive motion deadline that does not
also extend a discovery deadline. This request is not made for any improper purpose or delay. Based
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upon the foregoing, the parties believe there is good cause for the requested extension because it is in
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furtherance of settlement and is in the interest of judicial economy.
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Dated: October 26, 2017
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/s/ Sean W. McDonald
Michael A. Urban, Esq.
Sean W. McDonald, Esq.
4270 S. Decatur Blvd., Suite A-9
Las Vegas, Nevada 89103
T: (702) 968-8087
F: (702) 968-8088
murban@theurbanlawfirm.com
smcdonald@theurbanlawfirm.com
Counsel for Plaintiffs
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THE URBAN LAW FIRM
Dated: October 26, 2017
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KUNG & BROWN
/s/ Georlen Spangler
Georlen Spangler, Esq.
214 South Maryland Parkway
Las Vegas, Nevada 89101
T: (702) 382-0883
F: (702) 382-2720
jspangler@ajkunglaw.com
Counsel for Defendants, Practical Flooring, Inc.
and Danette Roybal
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IT IS SO ORDERED.
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_____________________________________
UNITED STATES MAGISTRATE JUDGE
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10/27/2017
Dated: __________________
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105281
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