Prescott et al v. Slide Fire Solutions, LP

Filing 12

ORDER granting 11 Stipulation to Extend Time to Respond/Reply re: 8 Motion to Dismiss. Responses due by 3/30/2018. Replies due by 4/20/2018. Signed by Chief Judge Gloria M. Navarro on 3/8/2018. (Copies have been distributed pursuant to the NEF - MMM)

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Case 2:18-cv-00296-GMN-GWF Document 11 Filed 03/07/18 Page 1 of 3 1 2 3 4 5 6 7 8 9 10 11 12 13 14 ROBERT T. EGLET, ESQ. Nevada Bar No. 3402 ROBERT M. ADAMS, ESQ. Nevada Bar No. 6551 RICHARD K. HY, ESQ. Nevada Bar No. 12406 EGLET PRINCE 400 South 7th Street, 4th Floor Las Vegas, Nevada 89101 Tel.: 702-450-5400 Fax: 702-450-5451 Email eservice@egletlaw.com -andJONATHAN E. LOWY, ESQ. (Pro Hac Vice Forthcoming) District of Columbia Bar No. 418654 BRADLEY CENTER TO PREVENT GUN VIOLENCE 840 1ST Street, NE, #400 Washington, DC 20002 Telephone: 202-370-8104 Email: jlowy@bradymail.org Attorneys for Plaintiff 15 UNITED STATES DISTRICT COURT 16 17 DISTRICT OF NEVADA 22 DEVON PRESCOTT, individually and on CASE NO.: 2:18-cv-00296-GMN-GWF behalf of all those similarly situated; BROOKE FREEMAN, individually and on behalf of all those similarly situated; STIPULATION AND ORDER TO TASANEEPORN UPRIGHT, individually and EXTEND BRIEFING SCHEDULE on behalf of all those similarly situated, REGARDING DEFENDANT SLIDE FIRE SOLUTIONS, LP.’S MOTION TO Plaintiffs, DISMISS 23 vs. 24 SLIDE FIRE SOLUTIONS, LP, a Foreign Corporation; DOE MANUFACTURERS 1 – 100, inclusive; and ROE RETAILERS 1- 100, inclusive, 18 19 20 21 25 26 27 28 (FIRST REQUEST) Defendants. IT IS HEREBY STIPULATED AND AGREED between Plaintiffs, DEVON PRESCOTT, BROOKE FREEMAN and TASANEEPORN UPRIGHT (“Plaintiffs”) and Case 2:18-cv-00296-GMN-GWF Document 11 Filed 03/07/18 Page 2 of 3 1 Defendant, SLIDE FIRE SOLUTIONS, LP (“Defendant”), by and through the parties’ 2 respective counsel, pending the Court’s approval, the date for Plaintiffs to file their opposition 3 to Defendant Slide Fire Solutions LP’s Motion to Dismiss the Complaint Pursuant to Rules 4 12(b)(2) and 12(b)(6) (the “Motion”) (Dkt. No. 8) to be extended from March 9, 2018 to March 5 30, 2018. The Motion was filed on February 23, 2018. 6 7 IT IS FURTHER STIPULATED AND AGREED that Defendant will have up to and including April 20, 2018 to file its reply in support of the Motion. 8 The purpose of requesting this extension is due to the complexities of the legal 9 issues unique to this case, which likely will involve issues of first impression to our 10 federal bench. An extension of time will assist the parties to adequately brief these issues before 11 this Court. 12 Pending the Court’s approval, counsel for Defendant has agreed to a 21-day extension, 13 through and until March 30, 2018, for Plaintiffs to file an Opposition to the Motion in this 14 matter. Plaintiffs have also agreed to Defendant’s request to file Defendant’s reply in support of 15 the Motion through and until April 20, 2018. 16 This is the first extension requested in connection with the underlying motion and the 17 parties do not anticipate requesting another extension as it relates to the instant motion. 18 /// 19 /// 20 /// 21 22 23 24 25 26 27 28 2 Case 2:18-cv-00296-GMN-GWF Document 11 Filed 03/07/18 Page 3 of 3 1 For these reasons, the parties respectfully request that this Court approve the foregoing 2 stipulation. 3 DATED this 7th day of March, 2018 DATED this 7th day of March, 2018 4 /s/Robert M. Adams, Esq. ROBERT T. EGLET, ESQ. Nevada Bar No. 3402 ROBERT M. ADAMS, ESQ. Nevada Bar No. 6551 RICHARD K. HY, ESQ. Nevada Bar No. 12406 EGLET PRINCE 400 South 7th Street, 4th Floor Las Vegas, Nevada 89101 -andJONATHAN E. LOWY, ESQ. (Pro Hac Vice Forthcoming) District of Columbia Bar No. 418654 BRADLEY CENTER TO PREVENT GUN VIOLENCE 840 1ST Street, NE, #400 Washington, DC 20002 Telephone: 202-370-8104 Email: jlowy@bradymail.org Attorneys for Plaintiffs /s/F. Thomas Edwards, Esq. JAMES D. BOYLE, ESQ. Nevada Bar No. 8384 F. THOMAS EDWARDS, ESQ. Nevada Bar No. 9549 HOLLEY DRIGGS WALCH FINE WRAY PUZEY & THOMPSON 400 South Fourth Street, Suite 300 Las Vegas, Nevada 89101 -andJEFFREY MALSCH, ESQ. (Pro Hac Vice Forthcoming) DANNY C. LALLIS, ESQ. (Pro Hac Vice Forthcoming) PISCIOTTI MALSCH, PC 30 Columbia Turnpike, Suite 205 Florham Park, New Jersey 07932 Attorneys for Defendant Slide Fire Solutions, LP 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 ORDER IT IS SO ORDERED. Dated this 8 day of March, 2018. 22 23 24 Gloria M. Navarro, Chief Judge UNITED STATES DISTRICT JUDGE 25 26 27 28 3

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