Guillen v. B.J.C.R., L.L.C. et al

Filing 94

ORDER granting ECF No. 93 STIPULATION FOR EXTENSION OF TIME (First Request). Proposed Joint Pretrial Order due by 8/1/2024. Signed by District Judge Anne R. Traum on 7/2/2024. (Copies have been distributed pursuant to the NEF - GA)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA *** EUFEMIA GUILLEN, ) Plaintiff, ) vs. ) Case No.: 3:20-cv-00317-ART-CSD ) B.J.C.R. L.L.C., a Nevada Limited Liability ) ORDER GRANTING Company; B.J.H.S., LLC., a Nevada Limited ) Liability Company; R.C.S.J., LLC, a Nevada ) STIPULATION TO EXTEND Limited Liability Company; Dhilan One L.L.C., a ) TIME TO FILE PROPOSED Nevada Limited Liability Company; CHAMPAK ) JOINT PRE-TRIAL ORDER LAL, an Individual; and BHARAT B. LAL, an ) Individual, ) ) Defendants. ) ) (FIRST REQUEST) Pursuant to LR IA 6-1 and LR 26-3, Defendants and Plaintiff Eufemia Guillen (“Plaintiff’), by 23 24 and through their undersigned counsel, hereby stipulate to extend time for the parties to file their 25 proposed Joint Pre-Trial Order from the current deadline of July 1, 2024 through and including 26 August 1, 2024. This is the first request for an extension of this specific deadline. The requested 27 28 1 1 2 3 4 extension is sought in good faith and not for purposes of undue delay. The reasons for the extension are as follows: 1. Plaintiff’s counsel, JAMES P. KEMP, ESQ., has been having to care for his sister who has been hospitalized for most of the past two months for a series of treatments for a potentially 5 terminal illness and complications that have arisen out of that illness. He is her only family 6 7 8 9 10 and support in Las Vegas to help in her care. 2. Plaintiff’s counsel, BARBARA W. GALLAGHER, ESQ., has been preparing for and conducting a trial in Portland, Oregon that just recently was concluded in June, 2024. 3. As result of the above scheduling conflicts Plaintiff’s counsel has not had time to address the 11 issues and complete a draft of the proposed Joint Pre-Trial Order. 12 13 14 4. The Parties believe that an additional month should provide enough time to complete and file the proposed Joint Pre-Trial Order. 15 Accordingly, additional time is needed and the parties request that the court grant this extension. 16 IT IS SO STIPULATED. 17 18 Dated this 30th day of June 2024. Dated this 30th day of June 2024. 19 KEMP & KEMP SIMONS HALL JOHNSTON PC 22 /s/ James P. Kemp James P. Kemp, Esq. Barbara W. Gallagher, Esq. /s/Sandra C. Ketner Anthony L. Hall, Esq. Sandra C. Ketner, Esq. 23 Attorneys for Plaintiff Attorneys for Defendants 20 21 24 25 IT IS SO ORDERED. 26 27 28 _____________________________________ Anne R. Traum United States District Judge . Dated: July 2, 2024 2

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