Gunter v. United Federal Credit Union et al
Filing
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ORDER granting ECF No. 101 Stipulation Extending Time for Defendant to respond to ECF No. 98 Plaintiff's Report Re: Proposed Class Notice and Notice Plan. Response due by 12/29/2017. Signed by Judge Miranda M. Du on 12/20/2017. (Copies have been distributed pursuant to the NEF - KW)
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HOWARD & HOWARD
ATTORNEYS, PLLC
James A. Kohl, Nevada Bar No. 5692
Robert Hernquist, Nevada Bar No. 10616
3800 Howard Hughes Pkwy., Suite 1000
Las Vegas, Nevada 89169
Telephone: (702) 257-1483
Facsimile: (702) 567-1568
jak@h2law.com
rwh@h2law.com
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Attorneys for Defendant United Federal
Credit Union
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UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF NEVADA
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HOWARD & HOWARD ATTORNEYS PLLC
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TONYA GUNTER, individually, and on behalf
of all others similarly situated,
Judge Miranda M. Du
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Plaintiff,
v.
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Case No.: 3:15-cv-00483-MMD-WGC
UNITED FEDERAL CREDIT UNION, DOES
1-5 inclusive and ROE CORPORATIONS 6-10
inclusive,
Defendants.
STIPULATION AND [PROPOSED]
ORDER EXTENDING TIME
(FIRST REQUEST)
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STIPULATION AND [PROPOSED] ORDER EXTENDING TIME FOR DEFENDANT
TO RESPOND TO PLAINTIFF’S REPORT REGARDING PROPOSED CLASS
NOTICE AND NOTICE PLAN [ECF No. 98]
(First Request)
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Plaintiff Tonya Gunter (“Gunter”) and Defendant United Federal Credit Union (“United”)
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(United and Gunter are collectively referred to as “the Parties”) by and through their respective
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counsel of record, stipulate for the Court to enter an Order extending the time for United to file
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its Response to Gunter’s Report Regarding Proposed Class Notice and Notice Plan [ECF No. 98]
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from December 15, 2017, to December 29, 2017.
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Defendant has advised Plaintiff that it is currently investigating several components of
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Plaintiff’s proposed class notice and notice plan, including with third party vendors, and requires
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additional time to prepare its response. Accordingly, Defendant requests and Plaintiff has agreed
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that the Court should grant this stipulation and extend the date for filing Defendant’s response to
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ECF No. 98 until December 29, 2017.
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HOWARD & HOWARD ATTORNEYS PLLC
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Dated: December 14, 2017
HOWARD & HOWARD ATTORNEYS,
PLLC
By: /s/ James A. Kohl
James A. Kohl
Attorneys for Defendant
Dated: December 14, 2017
MCCUNE WRIGHT AREVALO, LLP
Richard D. McCune, Pro Hac Vice
rdm@mccunewright.com
Jae (Eddie) K. Kim, Pro Hac Vice
jkk@mccunewright.com
3281 E. Guasti Road, Suite 100
Ontario, California 91761
Ph: (909) 557-1250 / Fax: (909) 557-1275
By: /s/ Richard D. McCune
Richard D. McCune
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Attorneys for Plaintiff
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IT IS SO ORDERED:
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___________________________________
UNITED STATES DISTRICT JUDGE
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December 20,
Dated _________________________,
2017.
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