1600 East Newlands Drive, LLC v. Amazon.com.NDVC, LLC et al
Filing
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ORDER approving ECF No. 57 Stipulation re ECF No. 54 Motion to Strike. Response due by 12/26/2018. Reply due by 1/9/2019. Signed by Judge Howard D. McKibben on 12/18/2018. (Copies have been distributed pursuant to the NEF - KR)
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Jessica Woelfel (NSBN 11885)
Lisa Wiltshire Alstead (NSBN 10470)
Sarah Ferguson (NSBN 14515)
McDONALD CARANO LLP
100 W. Liberty St., 10th Floor
Reno, NV 89501
Telephone: (775) 788-2000
Facsimile: (775) 788-2020
jwoelfel@mcdonaldcarano.com
lalstead@mcdonaldcarano.com
sferguson@mcdonaldcarano.com
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Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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1600 EAST NEWLANDS DRIVE, LLC, a
Nevada limited liability company,
Plaintiff,
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vs.
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AMAZON.COM.NVDC,LLC, a Delaware
limited liability company f/k/a
AMAZON.COM.NVDC, INC.;
AMAZON.COM, INC., a Delaware
Corporation; and DOES I-X; and ROE
CORPORATIONS XI-XX, inclusive,
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Defendants.
Case No.: 3:17-CV-00566-HDM-WGC
ORDER GRANTING
STIPULATION AND [PROPOSED]
ORDER FOR EXTENSION OF TIME
FOR RESPONSE AND REPLY
DEADLINES RE: DEFENDANTS’
MOTION TO STRIKE PORTIONS OF
ALAN ARNDT DECLARATION AND
EXHIBITS UNDER RULE 56(c)(4)
(FIRST REQUEST)
AND RELATED COUNTERCLAIMS
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Pursuant to LR IA 6-1, Plaintiff 1600 EAST NEWLANDS DRIVE, LLC (“Plaintiff”) and
Defendants AMAZON.COM.NVDC, LLC and AMAZON.COM, INC. (“Defendants”), hereby
stipulate for an extension of time for the Response and Reply deadlines regarding Defendants’
Motion to Strike Portions of Alan Arndt Declaration and Exhibits Under Rule 56(c)(4) [Docket
No. 54] (the “Motion to Strike”). The Motion to Strike was filed on December 4, 2018. [See
Docket No. 54]. Plaintiff’s Response is currently due December 18, 2018. The parties stipulate
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to extend the time permitted for Plaintiff’s Response and Defendants’ Reply by one additional
week each. This results in new deadlines of Plaintiff’s Response to Motion to Strike being due
on December 26, 2018 and Defendants’ Reply in Support of Motion to Strike being due on January
9, 2019. This is the first stipulation for an extension of time for the briefing on the Motion to
Strike. The reason for this stipulation is to provide additional time for the parties to prepare their
briefs given the intervening holidays and the substantive nature of the issues presented.
IT IS SO AGREED AND STIPULATED:
Dated: December 17, 2018
By: /s/ Brian Lake
Brian C. Lake
Katherine May
Perkins Coie LLP
2901 North Central Avenue, Suite 2000
Phoenix, AZ 85012-2788
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David R. Koch
KOCH & SCOW LLC
11550 S. Eastern Avenue, Suite 210
Henderson, NV 89052
Attorneys for Defendants
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PERKINS COIE LLP
Dated: December 17, 2018
McDONALD CARANO LLP
By: /s/ Lisa Wiltshire Alstead
Jessica Woelfel
Lisa Wiltshire Alstead
Sarah Ferguson
100 West Liberty Street, 10th Floor
Reno, Nevada 89501
Attorneys for Plaintiff
ORDER
IT IS SO ORDERED:
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__________________________________
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UNITED STATES DISTRICT JUDGE
December 18, 2018
DATED: __________________________
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