Allen v. Barrick Gold of North America, Inc. et al

Filing 9

ORDER granting 8 Stipulation to Extend Time : Turner Staffing Group, LLC answer to 1 Complaint due by 7/19/2024. Signed by Magistrate Judge Carla Baldwin on 7/9/2024. (Copies have been distributed pursuant to the NEF - DRM)

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1 2 3 4 5 6 JOSHUA A. SLIKER, ESQ. Nevada Bar No. 12493 JACKSON LEWIS P.C. 300 S. Fourth Street, Suite 900 Las Vegas, Nevada 89101 Telephone: (702) 921-2460 Email: joshua.sliker@jacksonlewis.com Attorneys for Defendant Turner Staffing Group, LLC 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 10 WADE ALLEN, individually, and on behalf of all others similarly situated, Plaintiff, 11 12 13 14 vs. BARRICK GOLD OF NORTH AMERICA, INC. d/b/a NEVADA GOLD MINES LLC; and TURNER STAFFING GROUP, LLC, Case No.: 3:24-cv-00231-CLB ORDER GRANTING STIPULATION TO EXTEND TIME FOR DEFENDANT TURNER STAFFING GROUP, LLC TO RESPOND TO PLAINTIFF’S COMPLAINT (ECF No. 1) (FIRST REQUEST) Defendants. 15 16 Defendant Turner Staffing Group, LLC (“Turner” Or “Defendant”), by and through its 17 counsel of record, the law firm of Jackson Lewis P.C., and Plaintiff Wade Allen (“Plaintiff”), by 18 and through his counsel of record, the law firm of Roger Wenthe, PLLC, hereby stipulate and agree 19 to extend the time for Defendant Turner to file its response to Plaintiff’s Complaint (ECF No. 1) up 20 to and including July 19, 2024 based on the following: 21 22 23 1. This is the first stipulation to extend the time for Turner to respond to Plaintiff’s Complaint. 2. Turner has just retained the undersigned counsel regarding this matter. The 24 undersigned counsel requires time to investigation the allegations in the Complaint, confer with 25 Turner, and prepare Turner’s response to the Complaint. 26 27 28 3. The Parties have agreed to extend the deadline for Turner to file its response to the Complaint to July 19, 2023. 1 4. The Parties are working together in good faith and believe these circumstances 2 constitute good cause for extending Defendant’s time to respond to the Complaint. See Fed. R. Civ. 3 P. 6(b)(1). 4 5. The Parties are not waiving, relinquishing, or otherwise impairing any claim, 5 defense, argument, or other right they may have by virtue of entering into this Stipulation. See 6 Szanto v. Marina Marketplace 1, LLC, No. 3:11-cv-00394-RCJ-VPC, 2013 U.S. Dist. LEXIS 7 168028, at *10 (D. Nev. Nov. 26, 2013). 8 9 10 11 12 DATED this 8th day of July, 2024. ROGER WENTHE, PLLC JACKSON LEWIS P.C. /s/ Roger Wenthe______________________ ROGER WENTHE, ESQ. Nevada Bar No. 8920 2831 St. Rose Pkwy., Suite 200 Henderson, Nevada 89052 /s/ Joshua A. Sliker JOSHUA A. SLIKER, ESQ. Nevada Bar No. 12493 300 S. Fourth Street, Suite 900 Las Vegas, Nevada 89101 Attorney for Plaintiff Wade Allen Attorneys for Defendant Turner Staffing Group, LLC 13 14 15 16 IT IS SO ORDERED. 17 18 19 ____________________________________ UNITED STATES MAGISTRATE JUDGE 20 July 9, 2024. DATED: _____________________________ 21 22 23 24 25 26 27 28 2

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