Opinion
2:22-cv-02012-GMN-BNW
02-28-2023
Charles E. Gianelloni, Esq. Alexis R. Wendl, Esq. SNELL & WILMER L.L.P. Rebecca L. Castaneda, Esq. Admitted Pro Hac Vice THE CASTENADA LAW FIRM, PLLC Michael Jason Lee, Esq. Admitted Pro Hac Vice LAW OFFICES OF MICHAEL JASON LEE, APLC Attorneys for Defendant Benn Godenzi WOLF, RIFKIN, SHAPIRO, SCHULMAN & RABKIN, LLP Bradley S. Schrager (NV Bar No. 10217) Daniel Bravo (NV Bar No. 13078 Jason Harrow, Esq. Admitted Pro Hac Vice GERSTEIN HARROW LLP Charles Gerstein Esq. Emily Gerrick, Esq. Admitted Pro Hac Vice GERSTEIN HARROW LLP Attorneys for Plaintiff Patrick Hable
Charles E. Gianelloni, Esq. Alexis R. Wendl, Esq. SNELL & WILMER L.L.P. Rebecca L. Castaneda, Esq. Admitted Pro Hac Vice THE CASTENADA LAW FIRM, PLLC Michael Jason Lee, Esq. Admitted Pro Hac Vice LAW OFFICES OF MICHAEL JASON LEE, APLC Attorneys for Defendant Benn Godenzi
WOLF, RIFKIN, SHAPIRO, SCHULMAN & RABKIN, LLP Bradley S. Schrager (NV Bar No. 10217) Daniel Bravo (NV Bar No. 13078 Jason Harrow, Esq. Admitted Pro Hac Vice GERSTEIN HARROW LLP Charles Gerstein Esq. Emily Gerrick, Esq. Admitted Pro Hac Vice GERSTEIN HARROW LLP Attorneys for Plaintiff Patrick Hable
STIPULATION AND ORDER TO EXTEND DEADLINE FOR DEFENDANT BENN GODENZI TO RESPOND TO FIRST AMENDED COMPLAINT (FIRST REQUEST)
BRENDA WEKSLER UNITED STATES MAGISTRATE JUDGE
Pursuant to Fed.R.Civ.P. 6(b)(1)(A) and L.R. IA 6-1, Defendant Benn Godenzi, by and through his undersigned counsel, and Plaintiff Patrick Hable, by and through his undersigned counsel, hereby stipulate as follows.
1. On December 2, 2022, Plaintiff filed a complaint to commence this action.
2. On January 30, 2023, Defendant moved to dismiss the complaint.
3. On February 17, 2023, Plaintiff filed a first amended complaint.
4. The deadline for Defendant to respond to the first amended complaint is March 3, 2023.
5. The parties agree to extend Defendant's response deadline to March 17, 2023.
6. The parties further agree that if Defendant files a motion to dismiss, Plaintiff's opposition deadline is April 14, 2023.
NOW, THEREFORE, based on the foregoing and subject to Court approval, the parties hereto stipulate and agree that (1) the deadline for Defendant to respond to the first amended complaint is March 17, 2023; and (2) the deadline for Plaintiff to respond to Defendant's motion to dismiss, if one is filed, is April 14, 2023.
DATED this 27th day of February 2023.
ORDER
IT IS ORDERED . that ECF No. 24 is GRANTED in part and DENIED m part without prejudice.
It is granted to the extent that Defendant's deadline to respond to the first amended complaint shall be March 17, 2023.
It is denied to the extent Plaintiff seeks a longer response period should a motion to dismiss be filed. A separate stipulation requesting this relief must befiled. See LR IC2-2(b).
IT IS SO ORDERED