Sasiada v. Switch, Ltd
Filing
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ORDER Granting 15 Stipulation for extension of time to file response and reply to 10 Motion to Dismiss. Responses due by 6/1/2023. Replies due by 6/22/2023. Signed by Judge James C. Mahan on 5/19/2023. (Copies have been distributed pursuant to the NEF - LOE)
1 ADAM R. FULTON, ESQ.
Nevada Bar No. 11572
2 afulton@jfnvlaw.com
LOGAN G. WILLSON, ESQ.
3
Nevada Bar No. 14967
4 logan@jfnvlaw.com
JENNINGS & FULTON, LTD.
5 2580 Sorrel Street
Las Vegas, NV 89146
6 Telephone: (702) 979-3565
Facsimile: (702) 362-2060
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Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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2580 SORREL STREET
LAS VEGAS, NEVADA 89146
TELEPHONE 702 979 3565 ♦ FAX 702 362 2060
JENNINGS & FULTON, LTD.
11 MATEUSZ SASIADA, an individual,
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Case No.: 2:23-cv-00088-JCM-NJK
Plaintiff,
STIPULATION AND ORDER TO
EXTEND BRIEFING DEADLINES
REGARDING DEFENDANT’S
SWITCH, LTD., a Nevada Limited Liability
MOTION TO DISMISS THE
Company; DOES I-X, inclusive; and ROE
ACTION OR, ALTERNATIVELY, TO
CORPORATIONS I-X, inclusive,
STAY THE ACTION PENDING
ARBITRATION [ECF No. 10]
Defendants.
vs.
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(SECOND REQUEST)
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IT IS HEREBY STIPULATED by and between Plaintiff MATEUSZ SASIADA, by
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and through his attorneys of record, ADAM R. FULTON, ESQ. and LOGAN G.
22 WILLSON, ESQ., of the law firm of JENNINGS & FULTON, LTD., and Defendant
23 SWITCH, LTD., by and through its attorneys of record, WENDY M. KRINCEK, ESQ. and
24 MICHAEL D. DISSINGER, ESQ., of the law firm of LITTLER MENDELSON, P.C.
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(collectively herein the “parties”), to continue the briefing deadlines regarding Defendant’s
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1 Motion To Compel Arbitration And To Dismiss The Action, Or, Alternatively, To Stay The
2 Action Pending Arbitration [ECF No. 10] (the "Motion").1
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Plaintiff’s counsel starts an estimated 3-4 week jury trial in the Eighth Judicial
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District Court for Clark County, Nevada on May 15, 2023, in Case No. A-21-831496-B,
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DGMD Real Estate Investments, LLC v. Jim Mueller, et al. Thus, Plaintiff’s counsel has an
unavoidable conflict, and good cause exists to extend the current Opposition deadline from
8 May 18, 2023 to June 1, 2023. Additionally, the extension of Plaintiff’s deadline to file an
9 Opposition creates a scheduling conflict for Defendant that constitutes good cause to
10 provide additional time for Defendant to file the Reply in Support of the Motion.
2580 SORREL STREET
LAS VEGAS, NEVADA 89146
TELEPHONE 702 979 3565 ♦ FAX 702 362 2060
JENNINGS & FULTON, LTD.
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Specifically, Defendant’s in-house counsel will be out of the country the first two weeks of
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June and will be unable to review until June 15, 2023. Given the scheduling conflict, the
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parties further stipulate that the deadline for Defendant to file its Reply in Support of the
15 Motion will be June 22, 2023.
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Pursuant to LR IC 2-2(b), Defendant’s Motion was filed as two separate ECFs (Nos. 9 and 10).
27 Accordingly, the parties submit two separate stipulations to extend the briefing deadlines for the
28 Motion. A stipulation addressing ECF No. 9 is submitted contemporaneously herewith. LR IC 22(b).
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Consistent with the foregoing, the parties stipulate that Plaintiff shall have until June
2 1, 2023 to file his Opposition to the Motion. Defendant shall have until June 22, 2023 to file
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its Reply in Support of the Motion. The instant stipulation is submitted in good faith in
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order to fully brief and adjudicate the Motion and not for the purpose of undue delay.
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Dated: May 18th, 2023
Dated: May 18th, 2023
2580 SORREL STREET
LAS VEGAS, NEVADA 89146
TELEPHONE 702 979 3565 ♦ FAX 702 362 2060
JENNINGS & FULTON, LTD.
8 JENNINGS & FULTON, LTD.
9 ____/s/ Logan G. Willson, Esq.__
Adam R. Fulton, Esq.
10 Nevada Bar No. 11572
11 Logan G. Willson, Esq.
Nevada Bar No. 14967
12 Attorneys for Plaintiff
LITTLER MENDELSON, P.C.
___/s/ Michael D. Dissinger, Esq.____
Wendy K. Krincek, Esq.
Nevada Bar No. 6417
Michael D. Dissinger, Esq.
Nevada Bar No. 15208
Attorneys for Defendant
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IT IS SO ORDERED.
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__________________________________________
UNITED
STATES
DISTRICT
JUDGEJudge
United States
District
Court/Magistrate
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May 19, 2023
Dated: ____________________________________
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