Gimmellie v. Somerpointe Realty, LLC et al
Filing
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ORDER Granting 41 Stipulation for Extension of Time (First Request) re 39 Order on Stipulation. Motions due by 6/1/2022. Responses due by 6/29/2022. Signed by Magistrate Judge Nancy J. Koppe on 5/10/2022. (Copies have been distributed pursuant to the NEF - YAW)
Case 2:21-cv-00212-RFB-NJK Document 41 Filed 05/09/22 Page 1 of 2
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05/10/22
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PATRICK H. HICKS, ESQ., NV Bar. No. 4632
AMY L. THOMPSON, ESQ., NV Bar No. 10907
LITTLER MENDELSON, P.C.
3960 Howard Hughes Parkway
Suite 300
Las Vegas, NV 89169-5937
Telephone:
702.862.8800
Fax No.:
702.862.8811
Email:
phicks@littler.com
athompson@littler.com
Attorneys for Defendants
SOMERPOINTE REALTY, LLC,
AARON LEWIS and JUNID SANCHEZ
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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ANGELA GIMMELLIE, an individual,
Plaintiff,
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vs.
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SOMERPOINTE REALTY, LLC, a Nevada
Limited Liability Company; AARON LEWIS,
an individual; JUNID SANCHEZ, an
individual; DOES I through X, inclusive; and
ROE BUSINESS ENTITIES, I through X,
inclusive,
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Case No. 2:21-cv-00212-RFB-NJK
STIPULATION AND [PROPOSED]
ORDER TO EXTEND DISPOSITVE
MOTION DEADLINE
[FIRST REQUEST]
Defendants.
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Defendants SOMERPOINTE RESORTS, LLC, AARON LEWIS and JUNID SANCHEZ
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(hereinafter jointly referred to as “Defendants”) and Plaintiff ANGELA GIMMELLIE (“Plaintiff”),
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by and through their undersigned counsel, hereby stipulate and agree to extend the time for Defendant
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to file a dispositive motion, from the current deadline of May 18, 2022, by two weeks, until up to and
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including June 1, 2022. The parties also agree to extend the deadline for Plaintiff to file an opposition
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to Defendant’s dispositive motion by two weeks and it shall be filed no later than, June 29, 2021.
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There is good cause for entering into this stipulation as there has been an unforeseen delay in the
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delivery of deposition transcripts. As of the date of filing this stipulation the parties still have not
LITTLER M ENDELSON, P.C.
Attorneys At Law
3960 Howard Hughes Parkway
Suite 300
Las Vegas, NV 89169-5937
702.862.8800
Case 2:21-cv-00212-RFB-NJK Document 41 Filed 05/09/22 Page 2 of 2
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05/10/22
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received certified transcripts from depositions of three key witnesses. Further, the parties are in the
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process of discussing the impact of the recent depositions on the case and exploring revisiting
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settlement discussions and thus request this limited extension to afford additional time to discuss.
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This is the first request for an extension of time with respect to Defendant’s dispositive
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motion. The parties agree and represent to the Court that this request is made in good faith and not for
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the purpose of delay.
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Dated: May 9, 2022
Dated: May 9, 2022
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Respectfully submitted,
Respectfully submitted,
/s/ Kathryn Newman, Esq.
JILL GARCIA, ESQ.
KATHRYN NEWMAN, ESQ.
AMY HOWARD, ESQ.
H1 LAW GROUP
/s/ Amy L. Thompson, Esq.
PATRICK H. HICKS, ESQ.
AMY L. THOMPSON, ESQ.
LITTLER MENDELSON, P.C.
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Attorney for Plaintiff
ANGELA GIMMELLIE
Attorneys for Defendants
SOMERPOINTE REALTY, LLC, AARON
LEWIS and JUNID SANCHEZ
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IT IS SO ORDERED.
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Dated: May 10, 2022.
_____________________, 2022.
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_______________________________________
UNITED STATES DISTRICT JUDGE
Nancy J. Koppe
United States Magistrate Judge
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4879-5337-4750.1 / 077839-1014
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LITTLER M ENDELSON, P.C.
Attorneys At Law
3960 Howard Hughes Parkway
Suite 300
Las Vegas, NV 89169-5937
702.862.8800
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