Zizi et al v. All About Service Limousine, Inc. et al

Filing 18

ORDER Granting 17 Stipulation to Extend Time re 14 MOTION to Dismiss Counterclaims re 9 Answer to Amended Complaint, Counterclaim. (Replies due by 5/8/2017.) Signed by Judge Richard F. Boulware, II on 5/1/17. (Copies have been distributed pursuant to the NEF - ADR)

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1 2 3 4 JAMES P. KEMP, ESQ. Nevada Bar No. 6375 KEMP & KEMP 7435 W. Azure Dr., Suite 110 Las Vegas, Nevada 89130 (702) 258-1183/(702) 258-6983 fax jp@kemp-attorneys.com Attorney for Plaintiffs Tsadok and Juley Zizi 5 UNITED STATES DISTRICT COURT 6 DISTRICT OF NEVADA 7 *** 8 9 10 11 12 TSADOK ZIZI and JULEY ZIZI, vs. ) ) ) ) ) ) ) ) ) ) ) ) ) ) Plaintiffs-Counterdefendants, ALL ABOUT SERVICE LIMOUSINE, INC, a Nevada Corporation; MICK MANLY, Defendants-Counterclaimants. 13 14 15 Case No.: 2:17-cv-00088-RFB-VCF STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFFSCOUNTERDEFENDANTS TO FILE REPLY TO OPPOSITION MOTION TO DISMISS COUNTERCLAIMS [FIRST REQUEST] 16 17 COME NOW Plaintiff-Counterdefendants and Defendants-Counterclaimants and through 18 their respective counsel of record, do hereby stipulate and agree to extend the deadline for Plaintiff- 19 Counterdefendants to file a Reply to Defendants-Counterclaimants’ Opposition to Motion to 20 Dismiss Counterclaims from April 28, 2017 through and including May 8, 2017. This Stipulation is 21 brought based upon the following: 22 1. Plaintiff’s Counsel has informed Defense Counsel that he has been tied up with other 23 24 work since the Opposition was filed on Friday, April 21, 2017. This included an all day deposition 25 on Friday, April 21, multiple client meetings, preparation for and attending a workers’ 26 compensation appeal on Tuesday, April 25, preparation for and attending an all day deposition on 27 Wednesday, April 26, preparation for and attending a state court hearing on Thursday, April 27, 28 1 1 2 3 preparation for and drafting of two complaints in two new cases, one of which is up against a statute of limitations deadline on May 1. 2. The extension of time to file the Reply to Opposition to Motion to Dismiss 4 5 6 Counterclaims will be adequate to permit Plaintiff’s counsel to complete the work and get it filed. This extension of time is sought in good faith and not for the purpose of delay. 7 8 Dated: April 28, 2017 Dated: April 28, 2017 /s/ James P. Kemp James P. Kemp, Esq. KEMP & KEMP ATTORNEYS AT LAW 7435 West Azure Drive, Suite 110 Las Vegas, NV 89130 (702) 258-1183/ 258-6983 fax Attorney for Plaintiffs /s/ Anthony B. Golden Anthony B. Golden, Esq. GARG GOLDEN LAW FIRM 3185 St. Rose Parkway, Suite 325 Henderson, NV 89052 (702) 850-0202 / (702) 850-0204 fax agolden@garggolden.com Attorneys for Defendants 9 10 11 12 13 14 15 16 ORDER 17 18 IT IS SO ORDERED. 19 20 21 22 ______________________________________ DATED this 1st day of May, 2017. DATED DISTRICT JUDGE/MAGISTRATE JUDGE 23 Dated: _________________________________ 24 25 26 27 28 2

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