Opinion
2:20-cv-01728
04-27-2022
DEBORAH A. CARROLL, Plaintiff, v. MEDICREDIT, INC., Defendant .
SPENCER FANE LLP Mary E. Bacon, Esq. Nevada Bar No. 12686 Ryan C. Hardy, pro hac vice Counsel to Medicredit, Inc. LAW OFFICE OF KEVIN L. HERNANDEZ Kevin L. Hernandez, Esq. Nevada Bar No. 12954 Counsel to Plaintiff
SPENCER FANE LLP Mary E. Bacon, Esq. Nevada Bar No. 12686 Ryan C. Hardy, pro hac vice Counsel to Medicredit, Inc.
LAW OFFICE OF KEVIN L. HERNANDEZ Kevin L. Hernandez, Esq. Nevada Bar No. 12954 Counsel to Plaintiff
JOINT NOTICE OF PENDING SETTLEMENT
Plaintiff Deborah A. Carroll and Defendant Medicredit, Inc., by and through their respective counsel of record, hereby submit their Joint Notice of Pending Settlement.
1. This lawsuit involves a dispute regarding alleged violations of the Fair Debt Collection Practices Act (the “FDCPA, ” 15 U.S.C. § 1692, et seq.) and the Telephone Consumer Practices Act (the “TCPA, ” 47 U.S.C. § 277, et seq.). The Court entered an initial Discovery Plan and Scheduling Order on December 2, 2020 [ECF No. 16] and orders extending certain deadlines on April 5, 2021 [ECF No. 31], June 22, 2021 [ECF No. 37], August 26, 2021 [ECF No. 39], October 7, 2021 [ECF 42], and December 17, 2021 [ECF No. 44].
2. The parties have reached a settlement in principle, subject to documentation and performance.
3. The deadline for the parties to submit their joint pre-trial order is currently May 30, 2022. The parties respectfully request that deadline, and all others, be tolled for a period of thirty days to permit the parties to complete their settlement.
WHEREFORE, the parties respectfully request that the Court enter an order tolling the remaining deadlines in this case for thirty days pending completion of their settlement, and that the Court enter such other or additional relief as the Court deems just and appropriate in the circumstances.
IT IS SO ORDERED