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Whitfield v. Pick Up Stix, Inc.

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Jan 28, 2013
Case No. 2:10-CV-00099-ECR (PAL) (D. Nev. Jan. 28, 2013)

Opinion

Case No. 2:10-CV-00099-ECR (PAL)

01-28-2013

HENRY A. WHITFIELD, Plaintiff, v. PICK UP STIX, INC., a California corporation, et al. Defendants.

LAW OFFICES OF JOHN BENEDICT JOHN BENEDICT, ESQ. STOKES ROBERTS & WAGNER ARCH STOKES ADMITTED PRO HAC VICE JOHN R. HUNT ADMITTED PRO HAC VICE RONALD R. GIUSSO ADMITTED PRO HAC VICE


LAW OFFICES OF JOHN BENEDICT
JOHN BENEDICT, ESQ.
STOKES ROBERTS & WAGNER
ARCH STOKES
ADMITTED PRO HAC VICE
JOHN R. HUNT
ADMITTED PRO HAC VICE
RONALD R. GIUSSO
ADMITTED PRO HAC VICE

STIPULATION AND ORDER FOR

CONTINUANCE OF SETTLEMENT

CONERENCE

Plaintiff, Henry A. Whitfield, by and through his attorney, Matthew Beasley, Esq., of the Beasley Law Group and Defendants, Pick Up Stix, Inc. and Pick Up Stix Nevada, Inc., by and through their attorney John R. Hunt, Esq. of Stokes Roberts & Wagner, hereby stipulate and agree as follows: 1. On January 17, 2013, the Court entered an Order scheduling a settlement conference in this action for March 15, 2013, before United States Magistrate Judge Peggy Leen; 2. Defendants have a preexisting conflict on this date that will interfere with their attendance at the conference; 3. Defendants' counsel has conferred with plaintiffs counsel about rescheduling the date of the conference and plaintiffs counsel has agreed to reschedule the conference; 4. This is the first request by any party to have the conference rescheduled; 5. The parties respectfully request that the conference be rescheduled for a date in April 2013, excluding April 5, 16-19, 20, 24, 29 and 30; 6. This stipulation is made in good faith and not for the purpose of causing undue delay. BEASLEY LAW GROUP Matthew Beasley
Beasley Law Group
3090 West Durango Drive, Suite 200
Las Vegas, NV 89117
Attorneys for Plaintiff
LAW OFFICES OF JOHN BENEDICT John Benedict
Law Offices of John Benedict
2190 E. Pebble Road, Suite 260
Las Vegas, NV 89123
Local Counsel for Defendants
STOKES ROBERTS & WAGNER, ALC
John R. Hunt
Admitted Pro Hac Vice
Arch Y. Stokes
Admitted Pro Hac Vice
Ronald R. Giusso
Admitted Pro Hac Vice
Attorneys for Defendants

ORDER

IT IS SO ORDERED that the settlement conference currently scheduled for March 15, 2013, at 9:30 a.m., is VACATED and CONTINUED to April 12, 2013, at 9:30 a.m. Confidential settlement statements are due to chambers by 4:00 p.m., April 5, 2013.

_________________________

UNITED STATES MAGISTRATE JUDGE

CERTIFICATE OF SERVICE

I hereby certify that on the date below I electronically filed the above with the Clerk of Court using the CM/ECF system which will automatically send email notification of such filing to all attorneys of record: Matthew Beasley
Beasley Law Group
3090 West Durango Drive, Suite 200
Las Vegas, NV 89117

John R. Hunt Submitted by: John R. Hunt, Esq.
Admitted Pro Hac Vice
STOKES ROBERTS & WAGNER, ALC
3593 Hemphill Street
Atlanta, GA 30337
404-766-0076
Attorneys for Defendants


Summaries of

Whitfield v. Pick Up Stix, Inc.

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Jan 28, 2013
Case No. 2:10-CV-00099-ECR (PAL) (D. Nev. Jan. 28, 2013)
Case details for

Whitfield v. Pick Up Stix, Inc.

Case Details

Full title:HENRY A. WHITFIELD, Plaintiff, v. PICK UP STIX, INC., a California…

Court:UNITED STATES DISTRICT COURT DISTRICT OF NEVADA

Date published: Jan 28, 2013

Citations

Case No. 2:10-CV-00099-ECR (PAL) (D. Nev. Jan. 28, 2013)