Chocolate Magic Las Vegas, LLC v. Ford, Jr. et al
Filing
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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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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
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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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
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170 S. Green Valley Pkwy., Suite 280
Henderson, Nevada 89012
(702) 259-7777 FAX: (702) 259-7704
GABROY LAW OFFICES
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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.
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IT IS HEREBY STIPULATED, by and between Plaintiff Chocolate Magic Las
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Vegas, LLC and Defendant Blair Elliot Ford, Jr. through their respective counsel that
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Plaintiff filed its Response to Motion to Dismiss on May 23, 2017.
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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
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which has a current due date of May 30, 2017 be extended to June 13, 2017. Such
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request of fourteen (14) days is herein made in good faith as Defendant Ford’s counsel
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needs further time for such pleading as Defendant Ford’s counsel has work commitments
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and needs additional time to complete such Reply to Plaintiff’s Response to Motion to
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Dismiss.
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It is hereby ordered and agreed that Defendant Ford has an additional fourteen
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(14) days to Reply to Plaintiff’s Response to Motion to Dismiss (Dkt. 33). Defendant
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Ford’s deadline to reply to Plaintiff’s Response to Motion to Dismiss will be extended up
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to and including June 13, 2017.
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The foregoing request for extension of deadline is made in good faith and is not
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made for the purpose of delay.
DATED this 24th day of May 2017.
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LEWIS ROCA ROTHGERBER CHRISTIE LLP
GABROY LAW OFFICES
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170 S. Green Valley Pkwy., Suite 280
Henderson, Nevada 89012
(702) 259-7777 FAX: (702) 259-7704
GABROY LAW OFFICES
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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
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IT IS ORDERED.
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__________________________________
United States District Judge
Dated:
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June 18, 2017
___________________________
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