Opinion
3:19-cv-00239- MMD-CBC
07-24-2023
MICHAEL J. FLYNN and PHILIP STILLMAN, Plaintiffs, v. MICHAEL E. LOVE, an individual; and JACQUELINE LOVE, an individual; MICHAEL E. LOVE as TRUSTEE OF THE MICHAEL LOVE FAMILY TRUST; MELECO, INC., a Nevada corporation; and DOES 1-10, Defendants.
STILLMAN & ASSOCIATES Philip H. Stillman Attorney for Plaintiffs MICHAEL J. FLYNN, ESQ. Michael J. Flynn, pro se ROBISON, SULLIVAN, SHARP & BRUST Attorneys for Intervenors GREENBERG TRAURIG Attorneys for Defendants
STILLMAN & ASSOCIATES Philip H. Stillman Attorney for Plaintiffs
MICHAEL J. FLYNN, ESQ. Michael J. Flynn, pro se
ROBISON, SULLIVAN, SHARP & BRUST Attorneys for Intervenors
GREENBERG TRAURIG Attorneys for Defendants
STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION FOR TERMINATING SANCTIONS [ECF NO. 357]
WHEREAS on July 7, 2023, Defendants filed a Motion For Terminating Sanctions Against Plaintiffs [ECF No. 357] (“Sanction Motion”);
WHEREAS Oppositions to the Sanction Motion is currently due on or before July 21, 2023; and
WHEREAS Plaintiffs have requested an extension of time to file their Opposition to the Sanction Motion until July 28, 2023;
NOW THEREFORE IT IS STIPULATED by and between the parties through their attorneys of record that the time for filing Plaintiffs' Opposition to the Sanction Motion is hereby extended to 11:59 p.m. on July 28, 2023. Defendants' Reply to the Oppositions shall also be extended by an additional seven days to 11:59 p.m. on August 4, 2023.
IT IS SO ORDERED
PROOF OF SERVICE
I, the undersigned, certify under penalty of perjury that on July 20, 2023, or as soon thereafter as possible, copies of the foregoing Stipulation was served electronically by the Court's ECF system to all parties and their attorneys of record or other persons requesting or entitled to service of filings in this proceeding.