Opinion
2:23-cv-00899-JCM-VCF
08-03-2023
HARPO, INC. and OW LICENSING COMPANY, LLC, Plaintiffs, v. NUU3 NUTRITION LLC, BRENDAN O'SHEA, and DANNY O'SHEA, Defendants.
Ryan Gile, Esq GILE LAW GROUP LTD Attorney for Defendant Nuu3 Nutrition LLC LEWIS ROCA ROTHGERBER CHRISTIE LLP Michael J. McCue Nevada Bar No. 6055 Meng Zhong Nevada Bar No. 12145 Fara S. Sunderji (pro hac vice forthcoming) DORSEY & WHITNEY LLP John Marti (pro hac vice forthcoming) Caitlin Hull (pro hac vice forthcoming) DORSEY & WHITNEY LLP Attorneys for Plaintiffs Harpo, Inc. and OW Licensing Company, LLC
Ryan Gile, Esq
GILE LAW GROUP LTD
Attorney for Defendant Nuu3 Nutrition LLC
LEWIS ROCA ROTHGERBER CHRISTIE LLP
Michael J. McCue Nevada Bar No. 6055
Meng Zhong Nevada Bar No. 12145
Fara S. Sunderji (pro hac vice forthcoming)
DORSEY & WHITNEY LLP
John Marti (pro hac vice forthcoming)
Caitlin Hull (pro hac vice forthcoming)
DORSEY & WHITNEY LLP
Attorneys for Plaintiffs Harpo, Inc. and OW Licensing Company, LLC
STIPULATION AND ORDER FOR EXTENSION OF TIME TO ANSWER OR OTHERWISE RESPOND TO COMPLAINT
(First Request)
Pursuant to Federal Rule of Civil Procedure 6(b)(1) and Local Rule IA 6-1, Plaintiffs Harpo, Inc. and OW Licensing Company, LLC (“Plaintiffs”), by and through their counsel of record, and Defendant Nuu3 Nutrition LLC (“Defendant”), by and through its counsel of record, hereby agree and stipulate to a 30-day extension of time for Defendant to file and serve its answer or otherwise respond to the Complaint (ECF No. 1). Defendant was served on July 12, 2023, and so the current response deadline is August 2 2023. The parties agree that Defendant shall have up to and including September 1, 2023, to answer or otherwise respond to the Complaint (ECF No. 1). This is the first request by the parties for such an extension.
Good cause for this request exists because counsel for Plaintiffs and Defendant have just recently initiated good faith settlement discussions in order to try and resolve this matter and require the additional time to continue such settlement efforts and discuss in greater detail the possible terms and conditions of a settlement. Accordingly, this Stipulation is made for good cause and not for purposes of delay.
For the foregoing reasons, the parties hereby stipulate and agree to extend the deadline for Defendant to answer or otherwise respond to the Complaint from August 2 2023, to September 1, 2023.