Chalaye v. Trans Union LLC et al
Filing
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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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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
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IN THE UNITED STATES DISTRICT COURT
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FOR THE DISTRICT OF NEVADA
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CYNTHIA CHALAYE,
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Plaintiff,
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v.
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TRANS UNION, LLC, NATIONAL
CONSUMER TELECOM & UTILITIES
EXCHANGE, INC., CLARITY SERVICES,
INC., and MISSOURI HIGHER
EDUCATION LOAN AUTHORITY,
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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)
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Defendants.
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Plaintiff Cynthia Chalaye (“Plaintiff”) and Defendant Trans Union, LLC (“Trans
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Union”) and through their undersigned counsel (collectively, “the Parties”), hereby stipulate as
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follows:
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1.
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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.
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2.
Trans Union’s current deadline to respond to the Complaint is March 12, 2025.
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3.
Good cause exists for Trans Union’s request to extend the current response
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deadline by 21 days, as Plaintiff and Trans Union are actively engaged in case-resolution
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negotiations, including factual research into Plaintiff’s allegations of the Complaint to aid in
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inform
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al resolution discussions.
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5.
Plaintiff does not oppose an extension of Trans Union’s time to respond to the
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Complaint so that the Parties may devote their time and energy to resolving this matter.
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Pursuant to Local Rule IA 6-1, Trans Union respectfully requests the Court for an extension of
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time to file its responsive pleading for 21 days, which is up to and including, to April 2, 2025.
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6.
This stipulation is not for delay.
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7.
This is the first stipulation for an extension of time for Trans Union to respond to
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the Complaint. No other deadlines will be affected by this extension.
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For the foregoing reasons, Trans Union requests that the Court issue an order
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extending the date, to April 2, 2025, on which TransUnion must answer or otherwise respond to
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Plaintiff’s Complaint.
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Dated this 11th day of March 2025.
SKANE MILLS LLP
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/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
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FREEDOM LAW FIRM, LLC
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/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
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IT IS SO ORDERED.
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________________________________
U.S. MAGISTRATE JUDGE
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Date: March 12, 2025
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