Dobbins v. Tesla, Inc. aka Tesla Motors, Inc.
Filing
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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)
Case 3:21-cv-00398-RCJ-WGC Document 8 Filed 09/03/21 Page 1 of 2
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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.
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
TERRANCE DOBBINS,
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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,
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STIPULATION TO EXTEND
DEADLINE FOR DEFENDANT TO
RESPOND TO PLAINTIFF’S
COMPLAINT
Defendants.
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IT IS HEREBY STIPULATED by and between Plaintiff Terrance Dobbins (“Plaintiff”),
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through his counsel Kemp & Kemp, and Defendant Tesla, Inc.(“Defendant”), through its counsel
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Jackson Lewis P.C., that Defendant shall have a two week extension up to and including
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September 21, 2021, in which to file a response to Plaintiff’s Complaint. This Stipulation is
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submitted and based upon the following:
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1.
Defendant’s response to the Complaint is currently due on September 7, 2021.
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2.
A brief extension is necessary due to Defense Counsel’s illness. Defense Counsel
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had a minor medical procedure last week and two days later became ill with the flu, which has
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kept counsel out of the office for over a week. Defense Counsel requested a brief extension and
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Plaintiff’s Counsel kindly extended the courtesy.
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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
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4.
This request is made in good faith and not for the purpose of delay.
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Nothing in this Stipulation, nor the fact of entering to the same, shall be construed
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as waiving any claim and/or defense held by any party.
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Dated this 2nd day of September, 2021.
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KEMP & KEMP
JACKSON LEWIS P.C.
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/s/ James P. Kemp
James P. Kemp, Bar No. 6375
7435 W. Azure Drive, Ste. 110
Las Vegas, Nevada 89130
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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
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Attorneys for Defendant
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ORDER
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IT IS SO ORDERED:
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United States Magistrate Judge
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September 3, 2021
Dated: _________________________
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4822-6092-9273, v. 1
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