Carr v. Flagship Credit Acceptance, LLC et al
Filing
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ORDER Granting 14 Stipulation to Extend Deadline for Defendant Flagship Credit Acceptance LLC to Respond (Second Request) re 1 Complaint. Flagship Credit Acceptance, LLC answer due 1/24/2022. Signed by Magistrate Judge Elayna J. Youchah on 1/7/2022. (Copies have been distributed pursuant to the NEF - YAW)
Case 2:21-cv-01967-GMN-EJY Document 15 Filed 01/07/22 Page 1 of 2
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MARK J. CONNOT (10010)
JOHN M. ORR (14251)
FOX ROTHSCHILD LLP
1980 Festival Plaza Drive, Suite 700
Las Vegas, Nevada 89135
Tel: 702.262.6899
Fax: 702.597.5503
mconnot@foxrothschild.com
jorr@foxrothschild.com
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Attorneys for Defendant Flagship Credit Acceptance LLC
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UNITED STATES DISTRICT COURT
DISTRICT OF NEVADA
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PAUL JOHN CARR, an individual,
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v.
Case No. 2:21-cv-01967-GMN-EJY
Plaintiff,
FLAGSHIP CREDIT ACCEPTANCE LLC; a
Foreign Limited Liability Company; and
EQUIFAX INFORMATION SERVICES, LLC,
a Foreign Limited Liability Company,
STIPULATION TO EXTEND
DEADLINE FOR DEFENDANT
FLAGSHIP CREDIT ACCEPTANCE
LLC TO RESPOND TO COMPLAINT
(Second Request)
Defendants.
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DEFENDANT FLAGSHIP CREDIT ACCEPTANCE LLC (“Flagship”) and PLAINTIFF
PAUL JOHN CARR (“Plaintiff”), by and through their undersigned counsel, hereby stipulate and
agree as follows:
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RECITALS
WHEREAS on October 26, 2021, Plaintiff filed a Complaint (ECF No. 01), initiating this
action;
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WHEREAS on November 16, 2021, Flagship executed a Waiver of Service;
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WHEREAS on December 27, 2021, this Court entered the parties’ Stipulation and Order to
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Extend Deadline for Flagship Credit Acceptance LLC to Respond to Complaint (First Request),
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129408237
Case 2:21-cv-01967-GMN-EJY Document 15 Filed 01/07/22 Page 2 of 2
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without prejudice for further extensions of time by agreement of the parties; and
WHEREAS, the parties agree that the deadline for Flagship to respond to the Complaint
should be further extended through and including January 24, 2022;
STIPULATION
NOW, THEREFORE, Plaintiff and Flagship hereby stipulate and agree as follows:
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IT IS STIPULATED AND AGREED that Flagship’s response to Plaintiff’s Complaint
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(ECF No. 1) is due by no later than January 24, 2022, without prejudice for further extensions of
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time by agreement of the parties.
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Dated this 7th day of January, 2022.
FOX ROTHSCHILD LLP
Attorneys for Defendant
Flagship Credit Acceptance LLC
COGBURN LAW
Attorneys for Plaintiff
Paul John Carr
By: /s/John M. Orr
MARK J. CONNOT
Nevada Bar No. 10010
JOHN M. ORR
Nevada Bar. No. 14251
1980 Festival Plaza Drive, Suite 700
Las Vegas, Nevada 89135
Tel: 702.262.6899
Fax: 702.597.5503
mconnot@foxrothschild.com
jorr@foxrothschild.com
By: /s/ Erik W. Fox
JAMIE S. COGBURN
Nevada Bar No. 8409
ERIC W. FOX
Nevada Bar. No. 8804
2580 St. Rose Parkway, Suite 330
Henderson, Nevada 89074Tel:
702.748.7777
Fax: 702.966.3880
Gerald E. Arth
(pro hac vice application forthcoming)
Steven J. Daroci
(pro hac vice application forthcoming
Fox Rothschild LLP
2000 Market Street, 20th Floor
Philadelphia, Pennsylvania 19103
.
IT IS SO ORDERED; provided,
however, that any future request
for an extension must include a
specific justification.
______________________________
U.S. MAGISTRATE JUDGE
Dated: January 7, 2022
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