Gunter v. United Federal Credit Union et al

Filing 103

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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1 2 3 4 5 6 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 7 8 Attorneys for Defendant United Federal Credit Union 9 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA 10 11 HOWARD & HOWARD ATTORNEYS PLLC 12 TONYA GUNTER, individually, and on behalf of all others similarly situated, Judge Miranda M. Du 13 14 Plaintiff, v. 15 16 17 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) 18 19 20 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) 21 22 Plaintiff Tonya Gunter (“Gunter”) and Defendant United Federal Credit Union (“United”) 23 (United and Gunter are collectively referred to as “the Parties”) by and through their respective 24 counsel of record, stipulate for the Court to enter an Order extending the time for United to file 25 its Response to Gunter’s Report Regarding Proposed Class Notice and Notice Plan [ECF No. 98] 26 from December 15, 2017, to December 29, 2017. 27 Defendant has advised Plaintiff that it is currently investigating several components of 28 Plaintiff’s proposed class notice and notice plan, including with third party vendors, and requires 1 of 2 1 additional time to prepare its response. Accordingly, Defendant requests and Plaintiff has agreed 2 that the Court should grant this stipulation and extend the date for filing Defendant’s response to 3 ECF No. 98 until December 29, 2017. 4 5 6 7 8 9 10 11 HOWARD & HOWARD ATTORNEYS PLLC 12 13 14 15 16 17 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 18 19 Attorneys for Plaintiff 20 21 IT IS SO ORDERED: 22 ___________________________________ UNITED STATES DISTRICT JUDGE 23 24 December 20, Dated _________________________, 2017. 25 26 27 28 2 of 2

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