Criminal Productions, Inc. v. Does
Filing
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ORDER Granting 68 First Stipulation for Extension of Time Re: 62 Motion to Vacate. Defendant Tracy Cordoba's Responses due by 6/14/2018. Signed by Judge James C. Mahan on 6/4/2018. (Copies have been distributed pursuant to the NEF - SLD)
Case 2:16-cv-02704-JCM-PAL Document 68 Filed 05/31/18 Page 1 of 2
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F. Christopher Austin (Nevada Bar No. 6559)
caustin@weidemiller.com
WEIDE & MILLER, LTD.
10655 Park Run Drive, Suite 100
Las Vegas, NV 89144
Telephone: (702) 382-4804
Facsimile: (702) 382-4805
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Attorneys for Plaintiff Criminal Productions, Inc.
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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CRIMINAL PRODUCTIONS, INC., a Nevada Case No.: 2:16-cv-02704-JCM-PAL
Corporation,
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STIPULATION AND ORDER TO
EXTEND TIME TO FILE OPPOSITION
Plaintiff,
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v.
(First Request)
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MARIA JENKINS, an individual;
KIMBERLY CRAWFORD, an individual;
CHRISTINA SUTTON, an individual;
JULIUS LENON, an individual; JOSEPH
SMITH, an individual; TRACY CORDOBA,
an individual; MILES PILLUS, an individual;
RAIMOND PEREZ, an individual.
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Defendants.
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Pursuant to Local Rule IA 6-1(a), Plaintiff CRIMINAL PRODUCTIONS, INC.
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(“Plaintiff”) and Defendant TRACY CORDOBA (“Defendant”), by and through their
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undersigned counsel, stipulate to a two-week extension for Defendant to file her Opposition to
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Plaintiff’s Motion to Vacate Judgment Awarding Attorneys’ Fees and Costs (ECF No. 62,
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“Motion to Vacate”) from May 31, 2018, to June 14, 2018. This is the first request for such an
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extension.
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LR IA 6-1 provides that stipulations to extend may be granted upon a showing of good
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cause when brought prior to the expiration of the relevant deadline. LR IA 6-1(a). There is good
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cause to extend deadlines to provide parties with time to potentially resolve or narrow disputes
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without court intervention. Such is the case here.
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W EIDE & MILLER, LTD.
10655 PARK RUN DRIVE
SUITE 100
LAS VEGAS,
NEVADA 89144
(702) 382-4804
FCA-w-0709
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Stipulation and Order to Extend
Case 2:16-cv-02704-JCM-PAL Document 68 Filed 05/31/18 Page 2 of 2
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Plaintiff’s Motion to Vacate was filed on May 17, 2018, by Plaintiff’s new counsel. On
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May 30, 2018, counsel for Defendant brought various issues to the attention of Plaintiff’s new
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counsel regarding the allegations and arguments set forth in the Motion to Vacate to which
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Plaintiff’s counsel would like to respond. As these issues will impact the scope and arguments of
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Defendant’s Opposition to the Motion to Vacate, the parties have stipulated to extend the deadline
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for such an Opposition by two weeks to provide adequate time to address such issues while still
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leaving Defendant time to file an Opposition after such efforts conclude.
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Good cause therefore exists and this stipulation should be granted.
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Dated: May 31, 2018
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WEIDE & MILLER, LTD.
REID RUBINSTEIN BOGATZ
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By: /S/ F. Christopher Austin
F. Christopher Austin, Esq.
caustin@weidemiller.com
10655 Park Run Drive, Suite 100
Las Vegas, NV 89144
By: /S/ Kerry E. Kleiman
Kerry E. Kleiman, Esq.
kkleiman@rrblf.com
300 South 4th Street, Suite 830
Las Vegas, NV 89101
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Attorney for Plaintiff Criminal Productions, Attorney for Defendant Tracy Cordoba
Inc.
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ORDER
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IT IS SO ORDERED
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June 2018.
Dated this 4, day of
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DISTRICT COURT DISTRICT JUDGE
UNITED STATES JUDGE
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W EIDE & MILLER, LTD.
10655 PARK RUN DRIVE
SUITE 100
LAS VEGAS,
NEVADA 89144
(702) 382-4804
FCA-w-0709
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Stipulation and Order to Extend
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