Meagher v. Digital Trust, LLC
Filing
15
ORDER granting #14 Stipulation. KTC Holdings Company answer due 1/17/2025. Signed by Magistrate Judge Maximiliano D. Couvillier, III on 11/25/2024. (Copies have been distributed pursuant to the NEF - DLS)
1
5
ERIC W. SWANIS, ESQ.
Nevada Bar No. 06840
GREENBERG TRAURIG, LLP
10845 Griffith Peak Drive, Suite 600
Las Vegas, Nevada 89135
Telephone: 702.792.3773
Facsimile: 702.792.9002
Email: swanise@gtlaw.com
6
Counsel for Defendant
2
3
4
7
UNITED STATES DISTRICT COURT
8
DISTRICT OF NEVADA
9
Greenberg Traurig, LLP
10845 Griffith Peak Drive, Suite 600, Las Vegas, NV 89135
(702) 792-3773
(702) 792-9002 (fax)
10
11
KEVIN MEAGHER on behalf of himself and
REBECCA DAWSON on behalf of
themselves and all other similarly situated
individuals,
12
13
14
15
18
19
20
21
22
23
24
25
26
27
28
STIPULATION AND PROPOSED ORDER
TO EXTEND TIME TO RESPOND TO
COMPLAINT
Plaintiffs,
(FIRST REQUEST)
v.
KTC HOLDING COMPANY f/k/a THE
KINGDOM TRUST COMPANY,
Defendant.
16
17
CASE NO. 2:24-cv-01630-CDS-MDC
Plaintiffs KEVIN MEAGHER, on behalf of himself and on behalf of others
similarly situation, and REBECCA DAWSON (“Plaintiffs”), and Defendant KTC
HOLDING COMPANY, formerly known as THE KINGDOM TRUST COMPANY
(“Defendant”), by and through their respective counsel, and pursuant to Local Rules IA 61, LR IA 6-2, and LR 7-1, hereby stipulate and agree as follows:
WHEREAS, Plaintiffs filed their complaint on September 4, 2024 (ECF No. 1);
WHEREAS, waiver of service executed on behalf of Defendant was filed on
September 10, 2024 (ECF No. 7), making the deadline to respond to the complaint
November 9, 2024;
WHEREAS, Plaintiffs filed their First Amended Complaint on November 8, 2024
(ECF No. 13), making the deadline to respond to the amended complaint November 25,
ACTIVE 704195409v1
1
1
2
WHEREAS, Plaintiffs have agreed to an extension of time for Defendant to
3
respond to the amended complaint, namely, January 17, 2025, to allow the Parties to
4
continue ongoing settlement discussions and to accommodate the extension request by
5
Defendant’s counsel;
6
NOW, THEREFORE, in consideration of the foregoing, the Parties hereby
7
STIPULATE and AGREE that the deadline for Defendant to respond to the amended
8
complaint is January 17, 2025.
9
10
Greenberg Traurig, LLP
10845 Griffith Peak Drive, Suite 600, Las Vegas, NV 89135
(702) 792-3773
(702) 792-9002 (fax)
2024;
The Parties represent this stipulation is made in good faith and not for the purposes
of delay.
11
IT IS SO STIPULATED.
12
Dated this 21st day of November, 2024.
13
14
15
16
17
18
19
Dated this 21st day of November, 2024.
/s/ Eric W. Swanis
/s/ Kennedy M. Brian
GREENBERG TRAURIG, LLP
ERIC W. SWANIS (NV BAR
06840)
10845 Griffith Peak Drive, Ste 600
Las Vegas, NV 89135
LEVERTY & ASSOCIATES LAW,
CHTD
PATRICK R. LEVERTY (NV BAR 8840)
WILLIAM R. GINN (NV BAR 6989)
832 Willow Street
Reno, NV 89502
Counsel for Defendant
FEDERMAN & SHERWOOD
WILLIAM B. FEDERMAN (PHV)
KENNEDY M. BRIAN (PHV)
10205 N. Pennsylvania Ave.
Oklahoma City, OK 73120
20
21
22
Counsel for Plaintiffs
23
24
IT IS SO ORDERED.
25
26
Hon. Maximiliano D. Couvillier III
United States Magistrate Judge
DATED: 11/25/2024
27
28
ACTIVE 704195409v1
2
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?