Barragan v. Early Warning Services, LLC et al

Filing 22

ORDER Granting 19 Stipulation for Extension of Time re 1 Complaint (Second Request). Early Warning Services, LLC answer due 7/13/2020. Signed by Magistrate Judge Cam Ferenbach on 6/25/2020. (Copies have been distributed pursuant to the NEF - MR)

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1 2 3 4 5 6 Laura R. Jacobsen, Esq. (NSBN 13699) Jason B. Sifers, Esq. (NSBN 14273) McDONALD CARANO LLP 2300 West Sahara Avenue, Suite 1200 Las Vegas, Nevada 89102 Telephone: (702) 873-4100 ljacobsen@mcdonaldcarano.com jsifers@mcdonaldcarano.com Attorneys for Defendant Early Warning Services, LLC 7 IN THE UNITED STATES DISTRICT COURT 8 FOR THE DISTRICT OF NEVADA 9 HUGO BARRAGAN, 10 11 12 13 Case No. 2:20-CV-00795-KJD-VCF Plaintiff, vs. EARLY WARNING SERVICES, LLC; THE RETAIL EQUATION; and BACKGROUNDCHECKS.COM, 14 Defendants. STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT EARLY WARNING SERVICES, LLC TO RESPOND TO COMPLAINT (Second Request) 15 16 17 Defendant Early Warning Services, LLC (“EWS”) and Plaintiff Hugo Barragan 18 (“Plaintiff”), by counsel, and pursuant to LR IA 6-1, submit the following Stipulation to Extend 19 Time for Defendant Early Warning Services, LLC to Respond to Complaint, up to an including 20 July 13, 2020. In support of the Stipulation, the parties state the following: 21 1. EWS was served with the Complaint through its registered agent on or around May 22 5, 2020 making its responsive pleading due on or around May 26, 2020. This Court previously 23 granted the parties’ request to extend EWS’s deadline to respond to June 25, 2020. 24 2. The undersigned counsel for EWS was retained by EWS in connection with this 25 matter and is continuing to review the allegations asserted in the Complaint. In addition, the parties 26 have engaged in preliminary settlement discussions to see if an early resolution can be reached. 27 28 3. Counsel for Plaintiff has agreed to the requested extension and the requested extension will not impact any other deadlines in this case. 42572290v1 1 4. 2 pleading. 3 5. 4 5 This is the second request to extend the deadline for EWS to file its responsive This request for an extension of time is not intended to cause any undue delay or prejudice to any party. 6. Therefore, the parties hereby stipulate that the deadline for EWS to file its responsive 6 pleading shall be extended through July 13, 2020. 7 DATED: June 25, 2020. 8 9 10 11 12 13 14 15 16 17 KNEPPER & CLARK LLC McDONALD CARANO LLP By: /s/ Matthew I. Knepper Matthew I. Knepper, Esq. (NSBN 12796) Miles N. Clark, Esq. (NSBN 13848) 5510 S. Fort Apache Rd., Suite 30 Las Vegas, NV 89418-7700 matthew.knepper@knepperclark.com miles.clark@knepperclark.com By: /s/ Laura R. Jacobsen Laura R. Jacobsen, Esq. (NSBN13699) Jason B. Sifers, Esq. (NSBN 14273) 2300 West Sahara Avenue, Suite 1200 Las Vegas, Nevada 89102 ljacobsen@mcdonaldcarano.com jsifers@mcdonaldcarano.com KRIEGER LAW GROUP LLC David H. Krieger, Esq. (NSBN 9086) 500 N. Rainbow Blvd., Suite 300 Las Vegas, NV 89107 dkrieger@kriegerlawgroup.com Attorneys for Defendant Early Warning Services, LLC Attorneys for Plaintiff Hugo Barragan 18 19 ORDER 20 IT IS SO ORDERED. 21 22 ___________________________________ UNITED STATES MAGISTRATE JUDGE 23 6-25-2020 DATED: ___________________________ 24 25 26 27 28 2 42572290v1

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