Chocolate Magic Las Vegas, LLC v. Ford, Jr. et al

Filing 50

ORDER Granting 37 Stipulation for Extension of Time re 21 Motion to Dismiss (First Request). Signed by Chief Judge Gloria M. Navarro on 6/18/17. (Copies have been distributed pursuant to the NEF - MR)

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1 2 3 4 5 6 SAO Gabroy Law Offices Christian Gabroy (#8805) Jeff Scarborough (#14114) The District at Green Valley Ranch 170 South Green Valley Parkway, Suite 280 Henderson, Nevada 89012 Tel (702) 259-7777 Fax (702) 259-7704 christian@gabroy.com Attorneys for Plaintiff 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 10 CHOCOLATE MAGIC LAS VEGAS LLC, a Delaware limited liability company, Case No.: 2:17-cv-00690-GMN-NJK Plaintiff, STIPULATION AND PROPOSED ORDER FOR EXTENSION OF TIME FOR DEFENDANT TO REPLY TO PLAINTIFF’S RESPONSE TO MOTION TO DISMISS 12 170 S. Green Valley Pkwy., Suite 280 Henderson, Nevada 89012 (702) 259-7777 FAX: (702) 259-7704 GABROY LAW OFFICES 11 13 14 15 16 vs. BLAIR ELLIOT FORD, JR., an individual; CINDY WIX-INGLING, an individual; NORMAN VIDA, an individual; and ALICE KELLY, an individual, inclusive, (FIRST REQUEST) Defendants. 17 18 IT IS HEREBY STIPULATED, by and between Plaintiff Chocolate Magic Las 19 Vegas, LLC and Defendant Blair Elliot Ford, Jr. through their respective counsel that 20 Plaintiff filed its Response to Motion to Dismiss on May 23, 2017. 21 22 It is stipulated and agreed by and between Plaintiff and Defendant to extend the deadline for Defendant Ford to file its Reply to Plaintiff’s Response to Motion to Dismiss 23 which has a current due date of May 30, 2017 be extended to June 13, 2017. Such 24 25 request of fourteen (14) days is herein made in good faith as Defendant Ford’s counsel 26 needs further time for such pleading as Defendant Ford’s counsel has work commitments 27 and needs additional time to complete such Reply to Plaintiff’s Response to Motion to 28 Page 1 of 2 1 Dismiss. 2 It is hereby ordered and agreed that Defendant Ford has an additional fourteen 3 (14) days to Reply to Plaintiff’s Response to Motion to Dismiss (Dkt. 33). Defendant 4 Ford’s deadline to reply to Plaintiff’s Response to Motion to Dismiss will be extended up 5 to and including June 13, 2017. 6 The foregoing request for extension of deadline is made in good faith and is not 7 8 9 made for the purpose of delay. DATED this 24th day of May 2017. 10 LEWIS ROCA ROTHGERBER CHRISTIE LLP GABROY LAW OFFICES 12 170 S. Green Valley Pkwy., Suite 280 Henderson, Nevada 89012 (702) 259-7777 FAX: (702) 259-7704 GABROY LAW OFFICES 11 By: __/s/ John Bragonje___ ____ John Bragonje, Esq. LEWIS ROCA ROTHBERGER CHRISTIE LLP 3993 Howard Hughes Parkway Suite 600 Las Vegas, NV 89169 Telephone: 702-949-8200 Fax No.: 702-949-8398 jbragonje@lrrc.com By: _/s/Christian Gabroy_____ Christian Gabroy, Esq. Jeff Scarborough, Esq. The District at Green Valley Ranch 170 South Green Valley Parkway Suite 280 Henderson, NV 89012 christian@gabroy.com Attorney for Plaintiff Attorneys for Defendant Blair Ford 13 14 15 16 17 18 19 IT IS ORDERED. 20 21 22 __________________________________ United States District Judge Dated: 23 24 June 18, 2017 ___________________________ 25 26 27 28 Page 2 of 2

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