Opinion
2:22-cv-01392-GMN-BNW
04-21-2023
FREEDOM LAW FIRM George Haines, Esq. Nevada Bar No. 9411 Gerardo Avalos, Esq. Nevada Bar No. 15171 MILBERG COLEMAN BRYSON PHILLIPS GROSSMAN, PLLC Scott C. Harris* N.C. Bar No: 35328 Gary M. Klinger* *to motion for appearance pro hac vice Attorneys for Plaintiffs and the Proposed Class Attorneys for Plaintiff and on behalf of all others similarly situated SESSIONS, ISRAEL & SHARTLE, LLP James K. Schultz Nevada Bar No. 10219 SESSIONS, ISRAEL & SHARTLE, LLC Bryan C. Shartle - Pro Hac Vice Bradley J. St. Angelo - Pro Hac Vice LINCOLN, GUSTAFSON & CERCOS LLP Shannon G. Splaine, Esq. Nevada Bar No. 8241 Attorneys for Transworld Systems Inc. WRIGHT, FINLAY & ZAK, LLP Ramir M. Hernandez, Esq. Nevada Bar No. 13146 Darren T. Brenner Nevada Bar No. 8386 LOCKE LORD LLP J. Matthew Goodin Attorneys for the Trust Defendants
FREEDOM LAW FIRM George Haines, Esq. Nevada Bar No. 9411 Gerardo Avalos, Esq. Nevada Bar No. 15171 MILBERG COLEMAN BRYSON PHILLIPS GROSSMAN, PLLC Scott C. Harris* N.C. Bar No: 35328 Gary M. Klinger* *to motion for appearance pro hac vice Attorneys for Plaintiffs and the Proposed Class Attorneys for Plaintiff and on behalf of all others similarly situated
SESSIONS, ISRAEL & SHARTLE, LLP James K. Schultz Nevada Bar No. 10219 SESSIONS, ISRAEL & SHARTLE, LLC Bryan C. Shartle - Pro Hac Vice Bradley J. St. Angelo - Pro Hac Vice LINCOLN, GUSTAFSON & CERCOS LLP Shannon G. Splaine, Esq. Nevada Bar No. 8241 Attorneys for Transworld Systems Inc.
WRIGHT, FINLAY & ZAK, LLP Ramir M. Hernandez, Esq. Nevada Bar No. 13146 Darren T. Brenner Nevada Bar No. 8386 LOCKE LORD LLP J. Matthew Goodin Attorneys for the Trust Defendants
STIPULATION AND ORDER EXTENDING DEADLINE TO FILE REPLY MEMORANDA IN SUPPORT OF TSI'S AND TRUST DEFENDANTS' MOTIONS TO DISMISS (FIRST REQUEST)
STIPULATION
Plaintiffs, Richard Klein, Raymond Urias and Sandra J. Gunter (“Plaintiffs”), and Defendants, Transworld Systems Inc. (“TSI”), National Collegiate Student Loan Trust (“NCSLT”) 2005-3, NCSLT 2006-3, NCSLT 20071, NCSLT 2007-2, and NCSLT 2007-3, and NCSLT 2007-4 (the “Trust Defendants” and, with Plaintiffs and TSI, the “Parties”), by and through their undersigned counsel, hereby jointly stipulate, agree, and move as follows:
1. On March 8, 2023, TSI and the Trust Defendants filed Motions to Dismiss Plaintiffs' First Amended Complaint (the “Motions to Dismiss”). ECF Nos. 39, 40.
2. On April 19, 2023, Plaintiffs filed their Oppositions to the Motions to Dismiss. ECF Nos. 56, 57.
3. Pursuant to LR 7-2, TSI's and the Trust Defendants' reply memoranda are currently due to be filed on April 26, 2023.
4. Due to personal and familial obligations, counsel for TSI and the Trust Defendants require additional time to prepare and file their reply memoranda in support of the Motions to Dismiss.
5. The Parties have conferred and agreed that TSI and the Trust Defendants shall have up to and including May 10, 2023, to file their reply memoranda in support of the Motions to Dismiss.
6. This is the first requested extension by TSI and the Trust Defendants for these filings, which will neither prejudice any party nor unreasonably delay the litigation.
IT IS SO STIPULATED
ORDER
Pursuant to the Parties' stipulation, IT IS HEREBY ORDERED:
TSI and the Trust Defendants shall have up to and including May 10, 2023, to file reply memoranda in support of their Motions to Dismiss (ECF Nos. 39, 40).
IT IS SO ORDERED: