Blue Sunsets LLC et al v. Kontilai et al
Filing
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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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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
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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BLUE SUNSETS, LLC and JENCESS
SOFTWARE & TECHNOLOGIES, INC.,
Plaintiffs,
v.
MYKALAI KONTILAI aka MICHAEL CONTILE
and COLLECTORS COFFEE, INC dba
COLLECTORS CAFE,
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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)
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Defendants Collectors Coffee, Inc. and Mykalai Kontilai (“Defendants”) and Plaintiffs
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Blue Sunsets, LLC and Jencess Software & Technologies, Inc. (“Plaintiffs”), by and through
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their undersigned counsel, hereby stipulate and agree as follows:
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1.
Defendants and Plaintiffs (the “Parties”) request to extend the time to file a
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response to Plaintiffs’ Opposition to Defendants’ Emergency Ex Parte Motion to Seal Plaintiffs’
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Complaint, with the requested extension being June 30, 2017. The filing date of the Ex Parte
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Motion to Seal Plaintiffs’ Complaint was May 19, 2017.
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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
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1 of 2
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Plaintiffs’ Complaint. The first stipulation is ECF Doc. No. 20, the second stipulation is ECF
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Doc. 22, the third stipulation is ECF Doc. 26, and the fourth stipulation is ECF Doc. 29.
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3.
The current deadline to file a response to Plaintiffs’ Opposition to Defendants’
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Emergency Ex Parte Motion to Seal Plaintiff’ Complaint is today, June 26, 2017, and this
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current deadline has not expired.
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4.
The Parties request this extension because the Parties are currently engaged in
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settlement negotiations. The Parties believe that they will have a settlement agreement entered
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into prior to the requested extension deadline of June 30, 2017, such that it is anticipated this
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will be the Parties’ final request to extend time.
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IT IS SO STIPULATED.
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DATED this 26th day of June 2017.
DATED this 26th day of June 2017.
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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
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IT IS SO ORDERED:
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United States Magistrate Judge
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Dated: June ______, 2017
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