Lanier v. Uniguest

Filing 14

ORDER Granting 13 Stipulation for Extension of Time re 5 Motion to Dismiss (First Request). Replies due by 5/26/2017. Signed by Judge Richard F. Boulware, II on 5/10/17. (Copies have been distributed pursuant to the NEF - MR)

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1 2 3 4 5 KRISTEN T. GALLAGHER (NSBN 9561) McDONALD CARANO LLP 2300 West Sahara Avenue, Suite 1200 Las Vegas, Nevada 89102 Telephone: (702) 873-4100 kgallagher@mcdonaldcarano.com Attorneys for U.S. Hospitality Publishers, Inc. dba Uniguest, Inc. 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 9 10 11 12 13 RACAL LANIER, Case No.: 2:17-cv-00885-RFB-PAL Plaintiff, JOINT STIPULATION AND ORDER TO EXTEND TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS UNIGUEST, a Nevada corporation; DOE COMPLAINT PURSUANT TO FED. R. CIV. DEFENDANTS I through X, inclusive; ROE P. 12(b)(6) DEFENDANTS I through X, inclusive, (FIRST REQUEST) Defendants. vs. 14 15 16 Defendant U.S. Hospitality Publishers, Inc. dba Uniguest, Inc., (“Uniguest”), by and through 17 its attorney of record, Kristen T. Gallagher, Esq., with the law firm of McDonald Carano LLP and 18 Plaintiff Racal Lanier (“Lanier”), by and through her attorney of record, Telia U. Williams, Esq., 19 with the Law Office of Telia U. Williams, hereby agree, stipulate and respectfully request that the 20 Court extend the deadline for Defendant’s Reply in Support of its Motion to Dismiss Complaint 21 Pursuant to Fed. R. Civ. P. 12(b)(6) (ECF No. 5) by three (3) weeks, from May 5, 2017 to May 26, 22 2017. This is the parties’ first request to extend the deadline. 23 Uniguest seeks the extension, and Lanier agrees, to allow the parties sufficient time to 24 address certain allegations that were made in opposition to the Motion to Dismiss. Uniguest requires 25 an extended period of time to file the reply because the information is not readily available and the 26 parties may need to rely on non-parties to respond to requests for information. The parties further 27 agree that permitting the requested extension may avoid a request for supplemental briefing and 28 therefore comports with principles of judicial economy. The undersigned represent that this stipulation is not designed for purposes of delay. For this 1 2 reason, the parties respectfully request that the Court grant the stipulated extension. 3 McDONALD CARANO LLP LAW OFFICE OF TELIA U. WILLIAMS 4 By: By: 5 6 7 /s/ Kristen T. Gallagher KRISTEN T. GALLAGHER, ESQ. 2300 West Sahara Avenue, Suite 1200 Las Vegas, Nevada 89102 Telephone: (702) 873-4100 kgallagher@mcdonaldcarano.com Attorney for Defendant U.S. Hospitality Publishers, Inc. dba Uniguest, Inc. 8 9 /s/ Telia U. Williams TELIA U. WILLIAMS, ESQ. 10161 Park Run Drive, Ste 150 Las Vegas, Nevada 89145 Tel: 702-835-6866 Fax: 702-363-8851 telia@telialaw.com Attorney for Plaintiff Racal Lanier 10 IT IS SO ORDERED. 11 _______________________________________ UNITED STATES DISTRICT JUDGE 12 13 May 10 Dated: _____________________, 2017. 14 15 16 17 18 386172 19 20 21 22 23 24 25 26 27 28 Page 2 of 2

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