Opinion
2:22-cv-01817-RFB-EJY
08-30-2023
FISHER & PHILLIPS LLP MARK J. RICCIARDI, ESQ. Nevada Bar No. 3141 ALLISON L. KHEEL, ESQ. Nevada Bar No. 12986 Attorney for Defendants, ABJ Group Enterprises LLC, ABJ Group Investments LLC, and Noi Le JENNINGS & FULTON, LTD. Adam R. Fulton, Esq. Nevada Bar No. 11572 Logan G. Willson, Esq. Nevada Bar No. 14967 Attorneys, for Plaintiffs
FISHER & PHILLIPS LLP MARK J. RICCIARDI, ESQ. Nevada Bar No. 3141 ALLISON L. KHEEL, ESQ. Nevada Bar No. 12986 Attorney for Defendants, ABJ Group Enterprises LLC, ABJ Group Investments LLC, and Noi Le
JENNINGS & FULTON, LTD. Adam R. Fulton, Esq. Nevada Bar No. 11572 Logan G. Willson, Esq. Nevada Bar No. 14967 Attorneys, for Plaintiffs
STIPULATION AND ORDER TO EXTEND DEADLINE TO RESPOND TO COMPLAINT AND FOR DEFENDANTS' INITIAL DISCLOSURES (THIRD REQUEST)
IT IS HEREBY STIPULATED by and between Plaintiffs SABRINA HALL and JOSE HALL (“Plaintiffs'), by and through their attorneys of record, ADAM R. FULTON, ESQ. and LOGAN G. WILLSON, ESQ. of the law firm of JENNINGS & FULTON, LTD., and Defendants ABJ GROUP ENTERPRISES LLC, ABJ GROUP INVESTMENTS LLC and NOI LE (“Defendants”), by and through their attorneys of record, ALLISON L. KHEEL, ESQ., of the law firm of FISHER & PHILLIPS, LLP, that Defendants will have up to and including September 22, 2023 to answer or otherwise respond to the Complaint and serve its Initial Disclosures. The parties are engaging in good-faith settlement negotiations and have made several proposals on each side towards that goal, and request this additional extension to continue their efforts towards resolution of this matter.
This request is made in good faith and should not cause undue delay.
IT IS SO ORDERED.