Advanta-Star Automotive Research Corporation of America v. Madsen Holdings, LLC d/b/a Madsen Marketing & PR et al

Filing 16

ORDER Granting #12 Stipulation for Extension of Time. Brittany Madsen and Madsen Holdings, LLC answer due 3/5/2021. Signed by Magistrate Judge Brenda Weksler on 2/16/2021. (Copies have been distributed pursuant to the NEF - JQC)

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Case 2:21-cv-00026-RFB-BNW Document 12 Filed 02/10/21 Page 1 of 2 16 02/16/21 1 Jonathan W. Fountain, Esq. Nevada Bar No. 10351 2 Steven E. Kish, III Nevada Bar No. 15257 3 HOWARD & HOWARD ATTORNEYS PLLC 3800 Howard Hughes Pkwy., Suite 1000 4 Las Vegas, NV 89169 Tel. (702) 257-1483 5 Email: jwf@h2law.com Email: sek@h2law.com 6 Attorneys for Defendants 7 Madsen Holdings, LLC and Brittany Madsen 8 HOWARD & HOWARD ATTORNEYS PLLC 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 12 ADVANTA-STAR AUTOMOTIVE RESEARCH CORPORATION OF AMERICA, 13 Case No. 2:21-cv-00026-RFB-BNW STIPULATION AND [PROPOSED] ORDER EXTENDING THE TIME FOR DEFENDANTS MADSEN HOLDINGS, LLC AND BRITTANY MADSEN TO FILE AND SERVE THEIR ANSWER OR OTHER RESPONSE TO THE COMPLAINT Plaintiff, vs. 14 15 16 17 MADSEN HOLDINGS, LLC D/B/A MADSEN MARKETING & PR; TIGER MOTORS LV, INC. D/B/A INFINITI OF LAS VEGAS; AND INFINITI AND BEYOND, LLC D/B/A INFINITY OF KENTUCKY; and BRITTANY MADSEN, an individual, (FIRST REQUEST FOR EXTENSION) 18 Defendants. 19 20 Pursuant to LR IA 6-1 and 6-2, Plaintiff Advanta-Star Automotive Research Corporation 21 of America (“Plaintiff”) and Defendants Madsen Holdings, LLC (“Madsen Holdings”) and 22 Brittany Madsen (“Ms. Madsen”) state the following: 23 1. The Complaint was filed on January 6, 2021 and the Court issued Summonses for 24 Madsen Holding and Ms. Madsen on January 7, 2021. 25 2. Ms. Madsen was served with a copy of the Summons and Complaint on February 26 7, 2021. Madsen Holdings has yet to be served with a copy of the Summons and Complaint. 27 3. Because Madsen Holdings and Ms. Madsen have only recently retained counsel 28 and require time to investigate the Complaint’s allegations, and to eliminate the need to separately 1 Case 2:21-cv-00026-RFB-BNW Document 12 Filed 02/10/21 Page 2 of 2 16 02/16/21 1 serve Madsen Holdings, Plaintiff, Madsen Holdings, and Ms. Madsen, hereby agree and stipulate 2 that: (a) Madsen Holdings accepts service of the Summons and Complaint as of February 7, 2021; 3 and (b) Ms. Madsen and Madsen Holdings shall each have until March 5, 2021 to file and serve 4 their respective answers or other responses to the Complaint. 5 This is the Parties first request for an extension of time for Ms. Madsen and Madsen 6 Holdings to file a responsive pleading to the Complaint. 7 Dated: this 9th day of February 2021 8 IT IS SO AGREED AND STIPULATED: HOWARD & HOWARD ATTORNEYS PLLC 9 10 11 12 13 HOWARD & HOWARD ATTORNEYS PLLC HOLLY DRIGGS By: /s/ Jonathan W. Fountain Jonathan W. Fountain, Esq. Steven E. Kish, III, Esq. 3800 Howard Hughes Pkwy., Suite 1000 Las Vegas, NV 89169 Tel. (702) 257-1483 Email: jwf@h2law.com Email: sek@h2law.com By: /s/ James D. Boyle James D. Boyle, Esq. Joanna M. Myers, Esq. 400 South Fourth Street, Third Floor Las Vegas, NV 89101 Email: jboyle@nevadafirm.com Email: jmyers@nevadafirm.com Attorneys for Defendants Madsen Holdings, LLC and Brittany Madsen Attorneys for Plaintiff Advanta-Star Automotive Research Corporation of America 14 15 16 17 IT IS SO ORDERED: 18 19 20 ____________________________________ UNITED STATES MAGISTRATE JUDGE 21 22 2/16/2021 DATED: ____________________________ 23 4835-9029-2184, v. 1 24 25 26 27 28 2

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