Dobbins v. Tesla, Inc. aka Tesla Motors, Inc.

Filing 8

ORDER granting ECF No. #7 Stipulation. Defendant shall have a two week extension up to and including September 21, 2021, in which to file a response to Plaintiff's Complaint. Signed by Magistrate Judge William G. Cobb on 9/3/2021. (Copies have been distributed pursuant to the NEF - SC)

Download PDF
Case 3:21-cv-00398-RCJ-WGC Document 8 Filed 09/03/21 Page 1 of 2 1 2 3 4 5 6 7 Deverie J. Christensen Nevada State Bar No. 6596 Joshua A. Sliker Nevada State Bar No. 12493 JACKSON LEWIS P.C. 300 South Fourth Street, Suite 900 Las Vegas, Nevada 89101 Tel: (702) 921-2460 Email: deverie.christensen@jacksonlewis.com joshua.sliker@jacksonlewis.com Attorneys for Defendant Tesla, Inc. aka Tesla Motors, Inc. 8 UNITED STATES DISTRICT COURT 9 10 DISTRICT OF NEVADA TERRANCE DOBBINS, 11 12 13 14 Case No. 3:21-cv-00398-RCJ-WGC Plaintiff, vs. TESLA, INC., (a.k.a. TESLA MOTORS, INC.) a Delaware Corporation; DOES I-X; and, ROE Business Entities I-X, 15 STIPULATION TO EXTEND DEADLINE FOR DEFENDANT TO RESPOND TO PLAINTIFF’S COMPLAINT Defendants. 16 17 IT IS HEREBY STIPULATED by and between Plaintiff Terrance Dobbins (“Plaintiff”), 18 through his counsel Kemp & Kemp, and Defendant Tesla, Inc.(“Defendant”), through its counsel 19 Jackson Lewis P.C., that Defendant shall have a two week extension up to and including 20 September 21, 2021, in which to file a response to Plaintiff’s Complaint. This Stipulation is 21 submitted and based upon the following: 22 1. Defendant’s response to the Complaint is currently due on September 7, 2021. 23 2. A brief extension is necessary due to Defense Counsel’s illness. Defense Counsel 24 had a minor medical procedure last week and two days later became ill with the flu, which has 25 kept counsel out of the office for over a week. Defense Counsel requested a brief extension and 26 Plaintiff’s Counsel kindly extended the courtesy. 27 28 3. This is the first request for an extension of time for Defendant to file a response to Plaintiff’s Complaint. Case 3:21-cv-00398-RCJ-WGC Document 8 Filed 09/03/21 Page 2 of 2 1 4. This request is made in good faith and not for the purpose of delay. 2 5. Nothing in this Stipulation, nor the fact of entering to the same, shall be construed 3 as waiving any claim and/or defense held by any party. 4 Dated this 2nd day of September, 2021. 5 KEMP & KEMP JACKSON LEWIS P.C. 8 /s/ James P. Kemp James P. Kemp, Bar No. 6375 7435 W. Azure Drive, Ste. 110 Las Vegas, Nevada 89130 9 Attorney for Plaintiff /s/ Deverie J. Christensen Deverie J. Christensen, Bar No. 6596 Joshua A. Sliker, Bar No. 12493 300 S. Fourth Street, Ste. 900 Las Vegas, Nevada 89101 6 7 Attorneys for Defendant 10 11 ORDER 12 IT IS SO ORDERED: 13 14 15 United States Magistrate Judge 16 September 3, 2021 Dated: _________________________ 17 18 19 20 21 22 23 24 25 26 27 28 4822-6092-9273, v. 1

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?