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Dobbins v. Glenbrook Homeowners Ass'n

United States District Court, District of Nevada
Jan 18, 2023
3:22-cv-00495-MMD-CLB (D. Nev. Jan. 18, 2023)

Opinion

3:22-cv-00495-MMD-CLB

01-18-2023

DAVID D. DOBBINS and SHARON L. DOBBINS, Trustees of the David and Sharon Dobbins Revocable Family Trust, Plaintiffs, v. GLENBROOK HOMEOWNERS ASS'N., a Nevada non-stock, not-for-profit corp.; TAHOE REGIONAL PLANNNING AGENCY, a separate legal entity created by bi-state compact approved by the United States Congress; and all other persons unknown claiming any right, title, estate, lien or interest in the real property described in this Complaint adverse to Plaintiffs' ownership or any cloud upon Plaintiffs' title thereto, Defendants.

Mary Marsh Linde, Esq. (NSBN 613) Attorney for Plaintiffs David D. Dobbins and Sharon L. Dobbins, Trustees TAHOE REGIONAL PLANNING AGENCY John L. Marshall (#6733) General Counsel Attorney for Defendant TRPA McDONALD CARANO LLP William A.S. Magrath II, Esq. (NVSBN 1400) Attorneys for Defendant Glenbrook


Mary Marsh Linde, Esq. (NSBN 613) Attorney for Plaintiffs David D. Dobbins and Sharon L. Dobbins, Trustees

TAHOE REGIONAL PLANNING AGENCY John L. Marshall (#6733) General Counsel Attorney for Defendant TRPA

McDONALD CARANO LLP William A.S. Magrath II, Esq. (NVSBN 1400) Attorneys for Defendant Glenbrook

ORDER GRANTING STIPULATION TO EXTEND TIME FOR DEFENDANTS GLENBROOK HOMEOWNERS ASSOCIATION AND TAHOE REGIONAL PLANNING AGENCY TO FILE RESPONSIVE PLEADING TO COMPLAINT

Defendant, TAHOE REGIONAL PLANNING AGENCY (TRPA), by and through John L. Marshall, its General Counsel, Defendant GLENBROOK HOMEOWNERS ASSOCIATION, by and through its counsel, William A.S. Magrath II and McDonald Carano, LLP, and Plaintiffs, DAVID and SHARON DOBBINS, by and through their counsel, Mary Marsh Linde Esq., do hereby AGREE, STIPULATE AND RESPECTFULLY REQUEST THAT THE Court extend the deadline, now January 27, 2023, until February 27, 2023 to answer or otherwise respond to Plaintiffs' Complaint.

This Third request is necessitated by the two-week hospitalization of Plaintiff David Dobbins and his consequent unavailability to participate in settlement discussions initiated by the parties prior to his illness. Mr. Dobbins is 85 years of age and will require additional time beyond the current deadline of January 27, 2023 to be able to participate in said discussions.

The relevant chronology of this matter has been stated in the previous SECOND REQUEST and is not iterated here, in the interest of brevity.

This Stipulation is entered into in good faith and not for purposes of delay. Settlement discussions were proceeding prior to the Christmas Holiday period, when Mr. Dobbins became hospitalized on Christmas Day, where he stayed for almost two weeks. This Stipulation further extends time so that the parties can resume their focus on resolution.

ORDER

IT IS SO ORDERED


Summaries of

Dobbins v. Glenbrook Homeowners Ass'n

United States District Court, District of Nevada
Jan 18, 2023
3:22-cv-00495-MMD-CLB (D. Nev. Jan. 18, 2023)
Case details for

Dobbins v. Glenbrook Homeowners Ass'n

Case Details

Full title:DAVID D. DOBBINS and SHARON L. DOBBINS, Trustees of the David and Sharon…

Court:United States District Court, District of Nevada

Date published: Jan 18, 2023

Citations

3:22-cv-00495-MMD-CLB (D. Nev. Jan. 18, 2023)