Criminal Productions, Inc. v. Does

Filing 69

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)

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Case 2:16-cv-02704-JCM-PAL Document 68 Filed 05/31/18 Page 1 of 2 1 4 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 5 Attorneys for Plaintiff Criminal Productions, Inc. 2 3 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 9 CRIMINAL PRODUCTIONS, INC., a Nevada Case No.: 2:16-cv-02704-JCM-PAL Corporation, 10 STIPULATION AND ORDER TO EXTEND TIME TO FILE OPPOSITION Plaintiff, 11 v. (First Request) 12 13 14 15 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. 16 Defendants. 17 18 Pursuant to Local Rule IA 6-1(a), Plaintiff CRIMINAL PRODUCTIONS, INC. 19 (“Plaintiff”) and Defendant TRACY CORDOBA (“Defendant”), by and through their 20 undersigned counsel, stipulate to a two-week extension for Defendant to file her Opposition to 21 Plaintiff’s Motion to Vacate Judgment Awarding Attorneys’ Fees and Costs (ECF No. 62, 22 “Motion to Vacate”) from May 31, 2018, to June 14, 2018. This is the first request for such an 23 extension. 24 LR IA 6-1 provides that stipulations to extend may be granted upon a showing of good 25 cause when brought prior to the expiration of the relevant deadline. LR IA 6-1(a). There is good 26 cause to extend deadlines to provide parties with time to potentially resolve or narrow disputes 27 without court intervention. Such is the case here. 28 W EIDE & MILLER, LTD. 10655 PARK RUN DRIVE SUITE 100 LAS VEGAS, NEVADA 89144 (702) 382-4804 FCA-w-0709 1 Stipulation and Order to Extend Case 2:16-cv-02704-JCM-PAL Document 68 Filed 05/31/18 Page 2 of 2 1 Plaintiff’s Motion to Vacate was filed on May 17, 2018, by Plaintiff’s new counsel. On 2 May 30, 2018, counsel for Defendant brought various issues to the attention of Plaintiff’s new 3 counsel regarding the allegations and arguments set forth in the Motion to Vacate to which 4 Plaintiff’s counsel would like to respond. As these issues will impact the scope and arguments of 5 Defendant’s Opposition to the Motion to Vacate, the parties have stipulated to extend the deadline 6 for such an Opposition by two weeks to provide adequate time to address such issues while still 7 leaving Defendant time to file an Opposition after such efforts conclude. 8 Good cause therefore exists and this stipulation should be granted. 9 Dated: May 31, 2018 10 WEIDE & MILLER, LTD. REID RUBINSTEIN BOGATZ 11 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 12 13 14 Attorney for Plaintiff Criminal Productions, Attorney for Defendant Tracy Cordoba Inc. 15 16 ORDER 17 18 IT IS SO ORDERED 19 June 2018. Dated this 4, day of , 20 . 20 21 DISTRICT COURT DISTRICT JUDGE UNITED STATES JUDGE 22 23 24 25 26 27 28 W EIDE & MILLER, LTD. 10655 PARK RUN DRIVE SUITE 100 LAS VEGAS, NEVADA 89144 (702) 382-4804 FCA-w-0709 2 Stipulation and Order to Extend

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