Blue Sunsets LLC et al v. Kontilai et al

Filing 35

ORDER Granting 33 Stipulation to Extend Time re 4 SEALED MOTION to Seal 1 Complaint. (Responses due by 6/30/2017.) Signed by Magistrate Judge Carl W. Hoffman on 6/27/17. (Copies have been distributed pursuant to the NEF - ADR)

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1 2 3 4 5 6 7 8 Mark A. Hutchison (4639) Jeffrey R. Hall (9572) Robert T. Stewart (13770) HUTCHISON & STEFFEN, LLC Peccole Professional Park 10080 West Alta Drive, Suite 200 Las Vegas, NV 89145 Tel: (702) 385-2500 Fax: (702) 385-2086 mhutchison@hutchlegal.com jhall@hutchlegal.com rstewart@hutchlegal.com Attorneys for Defendants 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 12 13 14 15 BLUE SUNSETS, LLC and JENCESS SOFTWARE & TECHNOLOGIES, INC., Plaintiffs, v. MYKALAI KONTILAI aka MICHAEL CONTILE and COLLECTORS COFFEE, INC dba COLLECTORS CAFE, 16 Defendants. Case No. 2:17-cv-01418-JAD-CWH STIPULATION TO EXTEND TIME TO FILE RESPONSE TO PLAINTIFFS’ OPPOSITION TO DEFENDANTS’ EMERGENCY EX PARTE MOTION TO SEAL PLAINTIFFS’ COMPLAINT (Fifth Request) 17 18 19 Defendants Collectors Coffee, Inc. and Mykalai Kontilai (“Defendants”) and Plaintiffs 20 Blue Sunsets, LLC and Jencess Software & Technologies, Inc. (“Plaintiffs”), by and through 21 their undersigned counsel, hereby stipulate and agree as follows: 22 1. Defendants and Plaintiffs (the “Parties”) request to extend the time to file a 23 response to Plaintiffs’ Opposition to Defendants’ Emergency Ex Parte Motion to Seal Plaintiffs’ 24 Complaint, with the requested extension being June 30, 2017. The filing date of the Ex Parte 25 Motion to Seal Plaintiffs’ Complaint was May 19, 2017. 26 27 2. This is the fifth stipulation the Parties have made to the Court to extend the time to file a response to Plaintiffs’ Opposition to Defendants’ Emergency Ex Parte Motion to Seal 28 1 of 2 1 Plaintiffs’ Complaint. The first stipulation is ECF Doc. No. 20, the second stipulation is ECF 2 Doc. 22, the third stipulation is ECF Doc. 26, and the fourth stipulation is ECF Doc. 29. 3 3. The current deadline to file a response to Plaintiffs’ Opposition to Defendants’ 4 Emergency Ex Parte Motion to Seal Plaintiff’ Complaint is today, June 26, 2017, and this 5 current deadline has not expired. 6 4. The Parties request this extension because the Parties are currently engaged in 7 settlement negotiations. The Parties believe that they will have a settlement agreement entered 8 into prior to the requested extension deadline of June 30, 2017, such that it is anticipated this 9 will be the Parties’ final request to extend time. 10 IT IS SO STIPULATED. 11 DATED this 26th day of June 2017. DATED this 26th day of June 2017. 12 HUTCHISON & STEFFEN, LLC WOLF, RIFKIN, SHAPIRO, SCHULMAN & RABKIN, LLP /s/ Robert T. Stewart ____________________________ Mark A. Hutchison (4639) Jeffrey R. Hall (9572) Robert T. Stewart (13770) 10080 West Alta Drive, Suite 200 Las Vegas, NV 89145 Attorneys for Defendants /s/ Don Springmeyer ______________________________ Don Springmeyer (1021) Jordan Butler (10531) 3556 E. Russell Road, Second Floor Las Vegas, NV 89120 Attorneys for Plaintiffs 13 14 15 16 17 18 19 20 IT IS SO ORDERED: 21 22 23 United States Magistrate Judge 24 25 27 Dated: June ______, 2017 26 27 28 2 of 2

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