Minnie Moore Resources, Inc. v. lnterval Equipment Solutions, Inc.

Filing 11

ORDER Granting 10 Stipulation to Extend Time. lnterval Equipment Solutions, Inc. answer due 3/5/2018. Signed by Magistrate Judge Cam Ferenbach on 2/22/2018. (Copies have been distributed pursuant to the NEF - ADR)

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1 2 3 4 5 Jason G. Landess, Esq. Nevada Bar No. 0288 7054 Big Springs Court Las Vegas, Nevada 89113 Telephone: (702) 232-3918 Fax: (702) 248-4122 Email: jland702@cox.net Attorney for Plaintiff Minnie Moore Resources, Inc. 6 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 MINNIE MOORE RESOURCES, INC., a Nevada corporation, Plaintiff, 12 13 14 15 16 vs. INTERVAL EQUIPMENT SOLUTIONS, INC., a California corporation, CASE NO.: 2:18-cv-00086-APG-VCF STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT INTERVAL EQUIPMENT SOLUTIONS, INC. TO FILE A RESPONSIVE PLEADING TO PLAINTIFF’S COMPLAINT Second Request Defendants. _________________________________/ 17 STIPULATION FOR EXTENSION OF TIME TO FILE RESPONSIVE PLEADING 18 (Second Request) 19 The parties respectfully submit the following Stipulation to allow Defendant INTERVAL 20 EQUIPMENT SOLUTIONS, INC. (“Defendant”) time to file a responsive pleading to Plaintiff 21 MINNIE MOORE RESOURCES, INC. (hereinafter “Plaintiff”). Complaint filed on January 16, 2018. 22 Reason for this Request 23 Plaintiff served its Complaint on Defendant on January 22, 2018. On February 11, 2018, the 24 parties filed a stipulation to extend the time for response to the Complaint (Dkt. # 1) by ten (10) days 25 from the date of entry of order of the stipulation. (Dkt. # 8). Since that time, additional matters have 26 arisen in discussions between counsel that, if resolved, might significantly alter the direction of this 27 dispute, whether it be to place the matter into alternative dispute resolution or modify the actual claims 28 Stipulation and Order to Extend Time for Defendant Interval Equipment Solutions, Inc. to File a Response to Plaintiff’s Complaint 42405-00001 4994189.1 1 at issue. As a result, the parties have agreed to an additional extension of time to allow for these 2 discussions to take place. Defendant’s response to the complaint will now be due by March 5, 2018. 3 NOW, THEREFORE, IT IS HEREBY STIPULATED by and between the parties, through their 4 respective counsel, that Defendant shall answer or otherwise respond to Plaintiff’s Complaint by 5 Monday, March 5, 2018 6 DATED: February 22, 2018 7 8 11 By: /s/Jason G. Landess JASON G. LANDESSD, ESQ. Nevada Bar No. 0288 7054 Big Springs Court Las Vegas, Nevada 89113 Email: jland702@cox.net Attorney for Plaintiff Minnie Moore Services, Inc. 12 DATED: February 22, 2018 9 10 13 14 15 16 17 18 McCORMICK, BARSTOW, SHEPPARD, WAYTE & CARRUTH LLP By By: /s/ Dylan P. Todd DYLAN P. TODD, ESQ. Nevada Bar No. 10456 8337 West Sunset Road, Suite 350 Las Vegas, Nevada 89113 Tel. (702) 949-1100 Attorney for Interval Equipment Solutions, Inc. 19 20 21 IT IS SO ORDERED: 22 23 _____________________________________ 24 25 By: __________________________________ UNITED STATES MAGISTRATE JUDGE 26 DATED: _____________________________ 2-22-2018 27 28 42405-00001 4994189.1 -2-

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