Marks v. David Saxe Productions, LLC et al
Filing
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ORDER Granting 42 Stipulation for Extension of Time re 41 Motion for Summary Judgment (Second Request). Responses due by 1/24/2020. Replies due by 2/18/2020. Signed by Magistrate Judge Daniel J. Albregts on 1/10/2020. (Copies have been distributed pursuant to the NEF - MR)
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JEFFREY GRONICH, ATTORNEY AT LAW, P.C.
Jeffrey Gronich, Esq. (#13136)
1810 E. Sahara Ave.
Suite 109
Las Vegas, Nevada 89104
Tel: (702) 430-6896
Fax: (702) 369-1290
jgronich@gronichlaw.com
Attorney for Plaintiff Alexander Marks
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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1810 E. Sahara Ave., Suite 109
Las Vegas, Nevada 89104
(702) 430-6896 FAX: (702) 369-1290
Jeffrey Gronich, Attorney at Law, P.C.
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ALEXANDER MARKS an individual;
Plaintiff,
vs.
DAVID SAXE PRODUCTIONS, LLC;
SAXE MANAGEMENT, LLC; DAVID
SAXE, an individual; EMPLOYEE(S) /
AGENT(S) DOES 1-10; and ROE
CORPORATIONS 11-20, inclusive;
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STIPULATION AND ORDER TO
EXTEND RESPONSE DEADLINE
(Second Request)
Defendants.
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Case No. 2:17-cv-02110-KJD-DJA
The Parties hereby stipulate to extend the deadline for Plaintiff to file his response to
Defendants’ Motion for Summary Judgment and agree as follows:
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On December 6, 2019, this Court entered an Order granting the Parties’ stipulation
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to extend the deadline for Defendants to file a Motion for Summary Judgment and for Plaintiff to
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file his response. Those deadlines were moved from December 9, 2019 to December 20, 2019, and
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for a Response to be due by January 15, 2020.
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2.
Plaintiff’s attorney is a solo practitioner and has had a heavy caseload to begin the
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year as many of his other matters had to be rescheduled from late December due to the holiday
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season. Due to those scheduling conflicts, the Parties have agreed to allow Plaintiff additional time
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to file his response to Defendants’ Motion to Dismiss.
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3.
Accordingly, the Parties stipulate and agree that the deadline for Plaintiff to file a
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response to Defendants’ Motion to Dismiss should be extended from January 15, 2020 to January
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24, 2020.
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4.
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The Parties further stipulate and agree that Defendants will thereafter have until
February 18, 2020 to file their Reply Brief.
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5.
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this stipulation.
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6.
A trial date has not yet been set in this matter and no other deadlines are affected by
This stipulation and order is sought in good faith and not for the purpose of delay.
1810 E. Sahara Ave., Suite 109
Las Vegas, Nevada 89104
(702) 430-6896 FAX: (702) 369-1290
Jeffrey Gronich, Attorney at Law, P.C.
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Dated: January 9, 2020
Dated: January 9, 2020
By:
_/s/ Jeffrey Gronich, Esq.___
Jeffrey Gronich, Esq. (#13136)
Jeffrey Gronich, Attorney at Law, P.C.
1810 E. Sahara Ave, Suite 109
Las Vegas, NV 89104
By:
_/s/ Lynne K. McChrystal, Esq.___
Kristen A. Milton, Esq. (#14401)
Lynne K. McChrystal, Esq. (#14739)
Jackson Lewis P.C.
3800 Howard Hughes Parkway, Suite 600
Las Vegas, NV 89169
Attorneys for Plaintiff
Attorneys for Defendants
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IT IS SO ORDERED
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Datedthis ____ day of ___________, 2020
Dated this 10th day of January, 2020.
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__________________________________________
UNITED STATES MAGISTRATE JUDGE
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