Opinion
3:19-cv-239-MMD-CLB
08-03-2023
GREENBERG TRAURIG, LLP MARK E. FERRARIO Nevada Bar No. 1625 JASON K. HICKS Nevada Bar No. 13149 VINCENT H. CHIEFFO Admitted Pro Hac Vice JULIANNA M. SIMON Admitted Pro Hac Vice Attorneys for Defendants/Counter-Complainant STILLMAN & ASSOCIATES By: Philip H. Stillman, pro se MICHAEL J. FLYNN, ESQ. By: Michael J. Flynn, pro se ROBISON, SULLIVAN, SHARP & BRUST By: Michael Burke Attorneys for Intervenors
GREENBERG TRAURIG, LLP
MARK E. FERRARIO
Nevada Bar No. 1625
JASON K. HICKS
Nevada Bar No. 13149
VINCENT H. CHIEFFO
Admitted Pro Hac Vice
JULIANNA M. SIMON
Admitted Pro Hac Vice
Attorneys for Defendants/Counter-Complainant
STILLMAN & ASSOCIATES
By: Philip H. Stillman, pro se
MICHAEL J. FLYNN, ESQ.
By: Michael J. Flynn, pro se
ROBISON, SULLIVAN, SHARP & BRUST
By: Michael Burke
Attorneys for Intervenors
STIPULATION FOR EXTENSION OF TIME TO FILE REPLY IN SUPPORT OF 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, on July 28, 2023, Plaintiffs filed their Opposition to the Sanction Motion [ECF No. 361];
WHEREAS, the deadline for Defendants to file a reply in support of the Sanction Motion is currently August 4, 2023; and
WHEREAS, Defendants have requested an extension of time until August 11, 2023 to file their reply in support of the Sanction Motion.
NOW THEREFORE IT IS STIPULATED by and between the parties through their attorneys of record that the time for filing Defendants' reply in support of the Sanction Motion is hereby extended to 11:59 p.m. on August 11, 2023, with the proviso that Defendants will not include additional evidence not submitted with their Sanctions Motion.
IT IS SO ORDERED.