Ach Foam Technologies, Inc v. Icon Reno Property Owner Pool 3 Nevada, LLC

Filing 61

ORDER granting ECF No. 58 Stipulation to Extend Time re ECF No. 52 Motion to Dismiss (Third Request) : Icon Reno Property Owner Pool 3 Nevada, LLC's response due by 4/30/2019. Signed by Judge Miranda M. Du on 4/9/2019. (Copies have been distributed pursuant to the NEF - LH)

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1 2 3 4 5 6 G. DAVID ROBERTSON, ESQ. (NV Bar 1001) KIRK C. JOHNSON, ESQ. (NV Bar 4299) Robertson, Johnson, Miller & Williamson 50 West Liberty Street, Suite 600 Reno, Nevada 89501 Telephone No.: (775) 329-5600 Facsimile No.: (775) 348-8300 gdavid@nvlawyers.com kirk@nvlawyers.com Attorneys for Defendant/Counterclaimant ICON RENO PROPERTY OWNER POOL 3 NEVADA, LLC 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 MFR HOLDCO, LLC, a foreign limited liability company, Case No. 3:18-cv-00034-MMD-WGC 11 Plaintiff, 12 vs. 13 14 ICON RENO PROPERTY OWNER POOL 3 NEVADA, LLC, a foreign limited liability Company, 15 Defendants. 16 17 ICON RENO PROPERTY OWNER POOL 3 NEVADA, LLC, a foreign limited liability Company, 18 Counterclaimant. 19 20 21 22 23 vs. MFR HOLDCO, LLC,; ACH FOAM TECHNOLOGIES, INC.; FRANK KIESECKER, JR., individually; RICHARD L. WALLER, individually; MICHAEL S. HUEMPFNER, individually, Counterdefendants. 24 25 26 27 28 Robertson, Johnson, Miller & Williamson 50 West Liberty Street, Suite 600 Reno, Nevada 89501 STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION TO DISMISS COUNTERCLAIM (THIRD REQUEST) WHEREAS, Counterdefendants Kiesecker, Waller and Huempfner filed a Motion to Dismiss Counterclaim (ECF 52) on February 26, 2019 (“the Motion”); STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION TO DISMISS COUNTERCLAIM (THIRD REQUEST) PAGE 1 1 2 3 4 WHEREAS, Counterclaimant’s opposition to the Motion is currently due on or before April 9, 2019; WHEREAS, the parties participated in a mediation on March 4, 2019, and reached a tentative settlement of the action; 5 WHEREAS, the parties are still working to finalize that tentative settlement and are 6 currently engaged in trying to resolve the last remaining issue (although Plaintiff’s counsel will 7 be out of the office during the week of April 8); 8 9 WHEREAS, the settlement will obviate the need for Counterclaimant to file an opposition to the Motion; and 10 WHEREAS, the parties agree that the Counterclaimant should not be required to expend 11 time and money opposing the Motion if the parties can finish finalizing their settlement, such 12 that an extension of time for Counterclaimaint to file said opposition, while the parties work to 13 finalize their settlement, makes good sense, 14 IT IS HEREBY STIPULATED AND AGREED by and between the undersigned, that 15 Counterclaimant Icon Reno Property Owner Pool 3 Nevada, LLC shall have to and including 16 April 30, 2019, to file its opposition to Plaintiff’s Motion to Dismiss Counterclaim in this action. 17 IT IS SO STIPULATED: 18 DATED: April 5, 2019 DATED: April 5, 2019. 19 HOLLAND & HART LLP ROBERTSON, JOHNSON MILLER & WILLIAMSON By: /s/ Matthew B. Hippler Matthew B. Hippler, Esq. Frank Z. LaForge, Esq. Attorneys for Plaintiff/ Counterdefendants By: /s/ Kirk C. Johnson Kirk C. Johnson, Esq. Attorneys for Defendant/ Counterclaimant 20 21 22 23 24 25 ORDER IT IS SO ORDERED: 26 27 28 Robertson, Johnson, Miller & Williamson 50 West Liberty Street, Suite 600 Reno, Nevada 89501 UNITED STATES DISTRICT JUDGE April 9, 2019 DATED: ________________________ STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION TO DISMISS COUNTERCLAIM (THIRD REQUEST) PAGE 2 CERTIFICATE OF SERVICE 1 2 Pursuant to FRCP 5(b) and Local Rule 5-4, I hereby certify that I am an employee of 3 Robertson, Johnson, Miller & Williamson, over the age of eighteen, and not a party to the within 4 action. 5 STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION TO DISMISS 6 COUNTERCLAIM (THIRD REQUEST) and thus, pursuant to LR 5-4, caused same to be 7 served by electronic mail on the following Filing Users: 8 9 10 11 I further certify that on the 5th day of April, 2019, I electronically filed this Matthew B. Hippler, Esq. (SBN 7015) Frank Z. LaForge, Esq. (SBN 12246) Holland & Hart LLP 5441 Kietzke Lane, Second Floor Reno, NV 89511 mhippler@hollandhart.com lzlaforge@hollandhart.com 12 13 14 /s/ Teresa W. Stovak An Employee of Robertson, Johnson, Miller & Williamson 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Robertson, Johnson, Miller & Williamson 50 West Liberty Street, Suite 600 Reno, Nevada 89501 STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION TO DISMISS COUNTERCLAIM (THIRD REQUEST) PAGE 3

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