Chalaye v. Trans Union LLC et al

Filing 14

ORDER granting 10 STIPULATION FOR EXTENSION OF TIME (First Request) for Defendant Trans Union LLC re: 1 Complaint. Response/Answer due 4/2/2025. Signed by Magistrate Judge Elayna J. Youchah on 3/12/2025. (Copies have been distributed pursuant to the NEF - GA)

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1 2 3 4 5 Sarai L. Brown (Bar No. 11067) sbrown@skanemills.com SKANE MILLS LLP 1120 Town Center Drive, Suite 200 Las Vegas, Nevada 89144 (702) 363-2535 / Fax (702) 363-2534 Attorney for Defendant Trans Union LLC 6 IN THE UNITED STATES DISTRICT COURT 7 FOR THE DISTRICT OF NEVADA 8 9 CYNTHIA CHALAYE, 10 Plaintiff, 11 v. 12 TRANS UNION, LLC, NATIONAL CONSUMER TELECOM & UTILITIES EXCHANGE, INC., CLARITY SERVICES, INC., and MISSOURI HIGHER EDUCATION LOAN AUTHORITY, 13 14 Case No.: 2:25-cv-00319-GMN-EJY JOINT STIPULATION AND ORDER EXTENDING DEFENDANT TRANS UNION LLC’S TIME TO FILE AN ANSWER OR OTHERWISE RESPOND TO PLAINTIFF’S COMPLAINT (FIRST REQUEST) 15 Defendants. 16 17 18 Plaintiff Cynthia Chalaye (“Plaintiff”) and Defendant Trans Union, LLC (“Trans 19 Union”) and through their undersigned counsel (collectively, “the Parties”), hereby stipulate as 20 follows: 21 1. 22 On February 18, 2025, Plaintiff filed her Complaint in the above-referenced matter. On February 19, 2025, Trans Union was served with Plaintiff’s Complaint. 23 2. Trans Union’s current deadline to respond to the Complaint is March 12, 2025. 24 3. Good cause exists for Trans Union’s request to extend the current response 25 deadline by 21 days, as Plaintiff and Trans Union are actively engaged in case-resolution 26 negotiations, including factual research into Plaintiff’s allegations of the Complaint to aid in 27 inform 28 1 1 4. al resolution discussions. 2 5. Plaintiff does not oppose an extension of Trans Union’s time to respond to the 3 Complaint so that the Parties may devote their time and energy to resolving this matter. 4 Pursuant to Local Rule IA 6-1, Trans Union respectfully requests the Court for an extension of 5 time to file its responsive pleading for 21 days, which is up to and including, to April 2, 2025. 6 6. This stipulation is not for delay. 7 7. This is the first stipulation for an extension of time for Trans Union to respond to 8 9 the Complaint. No other deadlines will be affected by this extension. 8. For the foregoing reasons, Trans Union requests that the Court issue an order 10 extending the date, to April 2, 2025, on which TransUnion must answer or otherwise respond to 11 Plaintiff’s Complaint. 12 13 Dated this 11th day of March 2025. SKANE MILLS LLP 14 /s/ Sarai L. Brown Sarai L. Brown, Esq. (SBN 271389) Sbrown@skanemills.com 1120 Town Center Drive, Suite 200 Las Vegas, Nevada 89144 Telephone: (702) 363-2535 Counsel for Trans Union LLC 15 16 17 18 19 20 FREEDOM LAW FIRM, LLC 21 /s/ George Haines George Haines, Esq. Nevada Bar No. 9411 Gerardo Avalos, Esq. Nevada Bar No. 1.5171 8985 South Eastern Ave., Suite 100 Las Vegas, NV 89123 Phone: (702) 880-5554 FAX: (702) 385-5518 Email: infoGfreedomlegalteam.com Counsel for Plaintiff 22 23 IT IS SO ORDERED. 24 25 26 ________________________________ U.S. MAGISTRATE JUDGE 27 Date: March 12, 2025 28 2

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