Hall CA-NV, LLC v. Ladera Development LLC

Filing 173

ORDER granting ECF No. 172 Stipulation for extension of time (first request). Proposed Joint Pretrial Order due by 9/26/2022. Signed by Judge Robert C. Jones on 8/25/2022. (Copies have been distributed pursuant to the NEF - HKL)

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Case 3:18-cv-00124-RCJ-CSD Document 173 Filed 08/25/22 Page 1 of 2 1 2 3 4 5 6 7 8 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 12 HALL CA-NV, LLC, a Texas limited liability company, Plaintiff, 13 v. 14 LADERA DEVELOPMENT, LLC, a Nevada limited liability company, 15 18 19 20 21 ORDER TO EXTEND THE DEADLINE FOR THE PARTIES’ JOINT PRETRIAL ORDER (FIRST REQUEST) Defendant. 16 17 CASE NO. 3:18-cv-00124-RCJ-CBC LADERA DEVELOPMENT, LLC, a Nevada limited liability company, v. Counterclaimant, HALL CA-NV, LLC, a Texas limited liability company, Counterdefendant. 22 23 24 Pursuant to Local Rule 6-1, Defendant/Counterclaimant Ladera Development, LLC 25 (“Ladera”) and Plaintiff/Counterdefendant Hall CA-NV, LLC (“Hall”), by and through their 26 undersigned counsel, hereby stipulate to extend the deadline for the joint pretrial order to 27 September 26, 2022, in order to accommodate counsel’s maternity leave. Specifically, the parties 28 stipulate as follows: -1– Case 3:18-cv-00124-RCJ-CSD Document 173 Filed 08/25/22 Page 2 of 2 1 In its July 26, 2022 order (the “Order”), the Court directed the parties to file a “joint 2 pretrial order within thirty days” (i.e., by August 25, 2022). However, one of Ladera’s lead 3 attorneys, Mrs. Dale Kotchka-Alanes, is currently away from the office on maternity leave and is 4 due to return to practice on September 12, 2022. To accommodate Mrs. Kotchka-Alanes’ 5 maternity leave, and ensure that she is able to contribute to the pretrial order, the parties stipulate 6 and request to extend the current deadline by thirty days, to September 26, 2022. This is the 7 parties’ first request to extend this deadline. Once the joint pretrial order is submitted, the parties 8 look forward to setting trial as soon as practicable for the Court. 9 10 11 12 13 14 15 16 17 18 19 20 21 IT IS SO AGREED AND STIPULATED, this 22nd day of August, 2022: By:/s/ Nathan J. Aman Nathan J. Aman, Esq. VILORIA, OLIPHANT & OSTER & AMAN LLP P.O . Box 62 Reno, NV 89504 Tel: (775) 284-8888 Email: naman@renonvlaw.com By:/s/ Brian D. Blakley Dale Kotchka-Alanes, Esq. (SBN 13168) Brian D. Blakley, Esq. (SBN 13074) LEWIS ROCA ROTHGERBER CHRISTIE LLP 3993 Howard Hughes Parkway, Suite 600 Las Vegas, Nevada 89169 Tel: (702) 949-8200 Email: dkotchkaalanes@lewisroca.com Email: bblakley@lewisroca.com Frank J. Wright, Esq. (by pro hac vice) LAW OFFICES OF FRANK WRIGHT, PLLC 2323 Ross Ave., Suite 730 Dallas, TX 75201 Tel: (214) 935-9100 Email: frank@fjwright.law Attorneys for Defendant/Counterclaimant Ladera Attorneys for Plaintiff/Counterdefendant 22 23 IT IS SO ORDERED. 24 25 26 U.S. DISTRICT COURT JUDGE DATED: August 25, 2022 27 28 -2–

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