Hunter Holdings, Inc. et al v. Nashua Homes of Idaho, Inc. et al
Filing
67
ORDER granting ECF No. 66 Stipulation to Further Extend Dates and Deadlines on ECF No. 60 Christy's Motion for Summary Judgment Response due by 6/6/2018. Reply due by 6/20/2018. Signed by Judge Miranda M. Du on 5/2/2018. (Copies have been distributed pursuant to the NEF - KW)
1 ROBERTSON & ASSOCIATES, LLP
ALEXANDER ROBERTSON, IV (Nevada Bar No. 8642)
arobertson@arobertsonlaw.com
32121 Lindero Canyon Road, Suite 200
3 Westlake Village, California 91361
Telephone: (818) 851-3850
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PROCOPIO, CORY, HARGREAVES & SAVITCH LLP
5 G. LANCE COBURN, ESQ. (Nevada Bar No. 6604)
lance.coburn@procopio.com
6 3960 Howard Hughes Parkway, Suite 500
Las Vegas, Nevada 89169
7 Telephone: (702) 216-2687
8 Attorneys for Plaintiffs ARGENTA RIM,
LLC, and HUNTER HOLDINGS, LLC
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA, NORTHERN DIVISION
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13 HUNTER HOLDINGS, LLC, a Nevada
Case No. 3:16-cv-00664-MMD-WGC
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STIPULATION AND [PROPOSED]
ORDER TO FURTHER EXTEND
DATES AND DEADLINES ON
CHRISTY’S MOTION FOR
SUMMARY JUDGMENT
limited liability company; ARGENTA
14 RIM, LLC, a Nevada limited liability
company,
Plaintiffs,
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vs.
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NASHUA HOMES OF IDAHO, INC.,
an Idaho corporation; MOBILE HOME
LOCATORS, INC., dba MHL, INC., an
Idaho corporation; SCOTT HECK, an
Idaho resident; CHRISTY
CORPORATION, LTD, a Nevada
professional corporation; SCOTT A.
CHRISTY, P.E., an individual,
inclusive,
Magistrate Judge William G. Cobb,
Courtroom 2
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Defendant.
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24 AND RELATED COUNTER-CLAIM.
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ROBERTSON
& ASSOCIATES, LLP
24661.1
3:16-cv-00664-MMD-WGC
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IT IS HEREBY STIPULATED by and between Plaintiffs, HUNTER
2 HOLDINGS, LLC and ARGENTA RIM, LLC, by and through their attorneys of
3 record, Robertson & Associates, LLP and Procopio, Cory, Hargreaves & Savitch,
4 LLP, and Defendants, CHRISTY CORPORATION, LTD and SCOTT A.
5 CHRISTY, P.E. (hereinafter collectively referred to as “CHRISTY”), by and
6 through their attorneys of record, RANDS, SOUTH & GARDNER, to further
7 extend the dates and deadlines related to CHRISTY’s Motion for Summary
8 Judgment in this matter.
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WHEREAS, on or about February 12, 2018, CHRISTY filed a Motion for
10 Summary Judgment in this case (Document 60);
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WHEREAS, Plaintiffs and CHRISTY previous filed a Stipulation and
12 Proposed Order to the Court to extend the dates and deadlines relating to
13 CHRISTY’s Motion for Summary Judgment;
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WHEREAS, on March 1, 2018, the Honorable Miranda M. Du, District
15 Judge, issued an Order extending the dates and deadlines relating to CHRISTY’s
16 Motion for Summary Judgment;
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WHEREAS, Plaintiffs’ Opposition to CHRISTY’s Motion for Summary
18 Judgment must currently be filed on or before May 4, 2018;
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WHEREAS, CHRISTY’s Reply to Plaintiffs’ Opposition to CHRISTY’s
20 Motion for Summary Judgment must currently be filed on or before May 18, 2018;
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WHEREAS, all parties in this case including Plaintiffs and CHRISTY have
22 agreed to mediate the above-entitled case;
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WHEREAS, the soonest available date that was acceptable to all parties to
24 mediate the case is May 23, 2018;
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WHEREAS, Plaintiffs do not want to incur the time or expense in preparing
26 an Opposition if they can settle the case with CHRISTY;
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ROBERTSON
& ASSOCIATES, LLP
24661.1
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3:16-cv-00664-MMD-WGC
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WHEREAS, CHRISTY is amenable to reasonable continuances of the
2 deadlines for the filing of Plaintiffs’ Opposition and CHRISTY’s Reply to
3 CHRISTY’s Motion for Summary Judgment; and
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WHEREAS, a trial date has not yet been set in this case.
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IT IS HEREBY STIPULATED AS FOLLOWS:
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The deadline for Plaintiffs’ Opposition to CHRISTY’s Motion for Summary
7 Judgment shall be continued from May 4, 2018 to June 6, 2018; and
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The deadline for CHRISTY’s Reply to Plaintiffs’ Opposition to CHRISTY’s
9 Motion for Summary Judgment shall be continued from May 18, 2018 to June 20,
10 2018.
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IT IS SO STIPULATED.
12 DATED: May 2, 2018
ROBERTSON & ASSOCIATES, LLP
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/s/ Alexander Robertson, IV
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By:
Alexander Robertson, IV, Esq.
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PROCOPIO, CORY, HARGREAVES &
SAVITCH LLP
G. Lance Coburn, Esq.
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Attorneys for Plaintiffs ARGENTA RIM,
LLC, and HUNTER HOLDINGS, LLC
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21 DATED: May 2, 2018
RANDS, SOUTH & GARDNER
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/s/ Brett K. South
By:
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Brett K. South, Esq.
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Attorneys for CHRISTY CORPORATION,
LTD, a Nevada professional corporation,
and SCOTT A. CHRISTY, P.E., an
individual
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ROBERTSON
& ASSOCIATES, LLP
24661.1
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3:16-cv-00664-MMD-WGC
ORDER
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IT IS HEREBY ORDERED that the dates and deadlines related to
3 CHRISTY’s Motion for Summary Judgment in the above-entitled matter shall be
4 modified to reflect the following new dates and deadlines:
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(1)
The deadline for Plaintiffs’ Opposition to CHRISTY’s Motion for
6 Summary Judgment shall be continued from May 4, 2018 to June 6, 2018; and
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(2)
The deadline for CHRISTY’s Reply to Plaintiffs’ Opposition to
8 CHRISTY’s Motion for Summary Judgment shall be continued from May 18, 2018
9 to June 20, 2018.
10 DATED: This _____ day of __________, 2018.
2nd
May
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DISTRICT COURT JUDGE
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16 Respectfully submitted by:
17 ROBERTSON & ASSOCIATES, LLP
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/ s / Alexander Robertson, IV
ALEXANDER ROBERTSON, IV, ESQ.
20 Nevada Bar No. 8642
32121 Lindero Canyon Road, Suite 200
21 Westlake Village, California 91361
Telephone (818) 851-3850
22 arobertson@arobertsonlaw.com
23 Attorneys for Plaintiffs, ARGENTA RIM,
24 LLC and HUNTER HOLDINGS, LLC
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ROBERTSON
& ASSOCIATES, LLP
24661.1
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3:16-cv-00664-MMD-WGC
Case 3:16-cv-00664-MMD-WGC Document 66 Filed 05/02/18 Page 5 of 6
ECF ATTESTATION
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I, ALEXANDER ROBERTSON, IV, am the ECF User whose ID and
3 password are being used to file this STIPULATION AND [PROPOSED] ORDER
4 TO FURTHER EXTEND DATES AND DEADLINES ON CHRISTY’S
5 MOTION FOR SUMMARY JUDGMENT. In accordance with Local Rule 56 4.3.4, concurrence in and authorization of the filing of this document has been
7 obtained from Brett K. South, Esq., counsel for CHRISTY CORPORATION, LTD
8 and SCOTT A. CHRISTY, P.E., and I shall maintain records to support this
9 concurrence for subsequent production for the Court if so ordered or for inspection
10 upon request by a party.
11 DATED: May 2, 2018
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ROBERTSON & ASSOCIATES, LLP
By: / s / Alexander Robertson, IV
ALEXANDER ROBERTSON, IV
Attorneys for Plaintiffs and The Proposed
Class
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Case 3:16-cv-00664-MMD-WGC Document 66 Filed 05/02/18 Page 6 of 6
CERTIFICATE OF SERVICE
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The undersigned hereby certifies that on the 2nd day of May, 2018, the
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3 foregoing document entitled STIPULATION AND [PROPOSED] ORDER TO
4 FURTHER EXTEND DATES AND DEADLINES ON CHRISTY’S MOTION
5 FOR SUMMARY JUDGMENT was filed and served electronically via the Court's
6 CM/ECF system to all CM/ECF participants listed on the e-service master list.
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/ s / Ann Russo
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An employee of the law firm of
Robertson & Associates, LLP
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3:16-cv-00664-MMD-WGC
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