Hillcrest Investments. Ltd. et al v. American Borate Company et al

Filing 28

ORDER granting #27 Stipulation Re: #17 Motion to Dismiss. Responses due by 7/21/2021. Replies due by 8/13/2021. Signed by Judge Richard F. Boulware, II on 7/15/2021. (Copies have been distributed pursuant to the NEF - DRS)

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1 2 3 4 SAO BYRON E. THOMAS, ESQ. (NBN 8906) E-mail: byronthomaslaw@gmail.com LAW OFFICES OF BYRON THOMAS 3275 S. Jones Blvd, Ste 104 Las Vegas, Nevada 89146 Telephone: 702 747-3103 Attorneys for Defendants 5 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF, NEVADA 8 Case No 2:21-cv-00964-RFB-NJK HILLCREST INVESTMENTS, LTD., a Canadian Corporation; AMERGOSA STIPULATION TO EXTEND DEADLINE ENTERPRISE, LLC., TO FILE RESPONSE TO UNITED STATES FISH AND WILDLIFE SERVICE Plaintiffs, AND THE NATIONAL PARK SERVICE MOTION TO DISMISS vs. (SECOND REQUEST) 9 10 11 12 13 14 15 16 17 18 19 AMERICAN BORATE COMPANY a foreign corporation; AMERICAN BORATE COMPANY OF TEXAS a foreign corporation, STATE ENGINEER, STATE OF NEVADA, DEPARTMENT OF CONSERVATION AND NATURAL RESOURCES, DIVISION OF WATER RESOURCES, A Nevada Political Subdivision; RAMM Corporation, a Nevada Corporation; UNITED STATES FISH AND WILD SERVICE a division of the UNITED STATES; NATIONAL PARK SERVICE, a division of the UNITED STATES; and DOES IV, ROES VI-X, 20 Defendants. 21 22 23 24 25 26 27 28 COMES NOW, Plaintiffs and Defendants United States Fish and Wildlife Service and the National Park Service (collectively, “Federal Defendants”) by and through their respective attorneys of record hereby stipulate and agree as follows: /// /// /// 1 2 3 4 5 6 7 8 9 10 11 On June 21, 2021, the Federal Defendants filed a Motion to Dismiss (“Motion”). See (ECF No. 17). Plaintiff’s response to the Motion was due on July 6, 2021. The parties agreed to extend the response deadline to July 14, 2021. See (ECF No. 24). The parties also stipulated that the Federal Defendants’ Reply would be due on July 26, 2021. Id. The Court granted the stipulation See (ECF No. Dkt No 26). The parties make this second request to accommodate workload and scheduling conflicts for Plaintiff’s counsel, which could not be resolved during the first extension. The parties have agreed Plaintiff would have until July 21, 2021 to respond, and the Federal Defendants would have to August 13, 2021 to file a Reply. The additional time for the Reply is needed so as not to prejudice the Federal Defendants as their counsel will be in depositions from July 26, 2021-August 6, 2021. 12 13 LAW OFFICES OF BYRON THOMAS 14 15 16 17 18 19 20 21 22 23 /s/ David L. Negri /s/ Byron E. Thomas CHRISTOPHER CHIOU Acting United States Attorney District of Nevada GREG ADDINGTON Assistant United States Attorney JEAN E. WILLIAMS Acting Assistant Attorney General U.S. Department of Justice DAVID L. NEGRI, Trial Attorney Environment and Natural Resources Division U.S. Attorney’s Office 1290 West Myrtle Street, Suite 500 Boise, Idaho 83702 (208) 334-1936 Byron E. Thomas, Esq. Bar # 8906 3275 S. Jones Blvd. Ste. 104 Las Vegas, NV 89146 Attorney for Plaintiffs 24 25 26 27 28 IT IS SO ORDERED. _______________________________ UNITED STATES DISTRICT JUDGE DATED: July 15, 2021

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