Opinion
2:21-cv-01202-RFB-BNW
07-13-2023
AARGON AGENCY, INC., a Nevada corporation; ACA INTERNATIONAL, a Minnesota non-profit corporation; ALLIED COLLECTION SERVICES, INC., a Nevada corporation; ASSETCARE, LLC, a Texas limited liability company; BUSINESS AND PROFESSIONAL COLLECTION SERVICE, INC., a Nevada corporation; CAPIO PARTNERS, LLC, a Texas limited liability company; CF MEDICAL, LLC, a Nevada limited liability company; CLARK COUNTY COLLECTION SERVICE, LLC, a Nevada limited-liability company; COLLECTION SERVICE OF NEVADA, a Nevada corporation; DONNA ARMENTA, an individual; DONNA ARMENTA LAW, a Nevada law firm; NEVADA COLLECTORS ASSOCIATION, a Nevada non-profit corporation; PLUSFOUR, INC., a Nevada corporation; RM GALICIA d/b/a PROGRESSIVE MANAGEMENT, LLC, a Nevada limited liability company; and THE LAW OFFICES OF MITCHELL D. BLUHM & ASSOCIATES, LLC, a Georgia limited liability company, Plaintiffs, v. SANDY O'LAUGHLIN, in her capacity as Commissioner of State Of Nevada Department Of Business And Industry Financial Institutions Division, Defendant.
Patrick J. Reilly, Esq., BROWNSTEIN HYATT FARBER SCHRECK, LLP, Attorneys for Plaintiffs David Israel, Esq., SESSIONS ISRAEL & SHARTLE, LLC, James K. Schultz, Esq., SESSIONS ISRAEL & SHARTLE, LLC, Attorneys for ACA International, AssetCare, LLC, Capio Partners, LLC, CF Medical, LLC, RM Galicia d/b/a Progressive Management LLC, and The Law Offices of Mitchell D. Bluhm and Associates, LLC. Marni Watkins, STATE OF NEVADA Office of the Attorney General, Attorneys for Defendant.
Patrick J. Reilly, Esq., BROWNSTEIN HYATT FARBER SCHRECK, LLP, Attorneys for Plaintiffs
David Israel, Esq., SESSIONS ISRAEL & SHARTLE, LLC, James K. Schultz, Esq., SESSIONS ISRAEL & SHARTLE, LLC, Attorneys for ACA International, AssetCare, LLC, Capio Partners, LLC, CF Medical, LLC, RM Galicia d/b/a Progressive Management LLC, and The Law Offices of Mitchell D. Bluhm and Associates, LLC.
Marni Watkins, STATE OF NEVADA Office of the Attorney General, Attorneys for Defendant.
STIPULATION AND ORDER EXTENDING DEADLINE TO FILE MOTION FOR JOINT STATUS CONFERENCE (FIRST REQUEST)
RICHARD F. BOULWARE, II UNITED STATES DISTRICT JUDGE.
The parties hereby agree and stipulate as follows:
1. Plaintiffs commenced this action on June 25, 2021 (ECF No. 1).
2. On March 9, 2023, this Court issued a Minute Order (ECF No. 102) directing the parties to file a joint motion for status conference within thirty (30) days following the Ninth Circuit's decision on Plaintiff's appeal of this Court's Order Denying Motion for Preliminary Injunction.
3. The Ninth Circuit issued its ruling on June 15, 2023.
4. Accordingly, the deadline for the parties to submit their joint motion is July 17, 2023.
5. Counsel for the parties are currently involved in discussions with their respective clients as to the current status of this matter given the Ninth Circuit's ruling.
6. As such, the parties agree to extend by two weeks, up to and including July 31, 2023, the deadline for the parties to file a joint motion for status conference in this matter.
7. This is the first request for an extension of this deadline.
8. This stipulation is made in good faith and the request is not made in attempt to delay proceedings.
ORDER
IT IS SO ORDERED.