Trustees of the Bricklayers & Allied Craftworkers Local 13 Defined Contribution Pension Trust For Southern Nevada et al v. Practical Flooring, Inc. et al

Filing 22

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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1 2 3 4 5 6 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 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 12 TRUSTEES OF THE BRICKLAYERS & ALLIED CRAFTWORKERS LOCAL 13 DEFINED CONTRIBUTION PENSION TRUST FOR SOUTHERN NEVADA; et al., Plaintiffs, 13 14 15 16 17 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. 18 19 IT IS HEREBY STIPULATED AND AGREED, by and between the parties’ counsel of record, 20 and subject to the approval of the Court, that the dispositive motion deadline be extended 30 days to 21 November 29, 2017. The current deadline is October 30, 2017. Discovery has closed. 22 The parties report that they have reached a tentative settlement of this matter, subject to reducing 23 the settlement to writing and executing the same. Thus, the parties request 30 days within which to 24 finalize settlement. Within 30 days, the parties expect to file a stipulation for dismissal, a status report, 25 or, in the event any remaining contingencies to settlement are not able to be removed and a written 26 settlement agreement is signed by the parties, to file dispositive motions. 27 28 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 1 1 upon the foregoing, the parties believe there is good cause for the requested extension because it is in 2 furtherance of settlement and is in the interest of judicial economy. 3 Dated: October 26, 2017 4 /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 5 6 7 8 9 10 THE URBAN LAW FIRM Dated: October 26, 2017 11 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 12 13 14 15 16 17 18 IT IS SO ORDERED. 19 20 21 _____________________________________ UNITED STATES MAGISTRATE JUDGE 22 10/27/2017 Dated: __________________ 23 24 25 26 105281 27 28 2

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