Opinion
2:23-cv-00512MMD-DJA
04-28-2023
Maier Gutierrez & ASSOCIATES JOSEPH A. GUTIERREZ, ESQ. Nevada Bar No. 9046 JEAN-PAUL HENDRICKS, ESQ. Nevada Bar No. 10079 Attorneys for Defendants Michael Kaplan and Adam Kaplan Lewis Roca Rothgerber Christie LLP ERIC N. KOHLI, ESQ. Nevada Bar No. 15763 Attorneys for Plaintiffs Luxx International, LLC and Wayde King MARC D. RISMAN, & EMERY LLP MARC D. RISMAN, ESQ. Nevada Bar No. 2455 Attorney for Defendant Pure Water Technologies McMENEMY HOLMES PLLC DUSTIN H. HOLMES, ESQ. Nevada Bar No. 12776 Attorney for Defendant Tasty One, LLC
Maier Gutierrez & ASSOCIATES JOSEPH A. GUTIERREZ, ESQ. Nevada Bar No. 9046 JEAN-PAUL HENDRICKS, ESQ. Nevada Bar No. 10079 Attorneys for Defendants Michael Kaplan and Adam Kaplan
Lewis Roca Rothgerber Christie LLP ERIC N. KOHLI, ESQ. Nevada Bar No. 15763 Attorneys for Plaintiffs Luxx International, LLC and Wayde King
MARC D. RISMAN, & EMERY LLP MARC D. RISMAN, ESQ. Nevada Bar No. 2455 Attorney for Defendant Pure Water Technologies
McMENEMY HOLMES PLLC DUSTIN H. HOLMES, ESQ. Nevada Bar No. 12776 Attorney for Defendant Tasty One, LLC
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT'S TO FILE A RESPONSE TO PLAINTIFF'S COMPLAINT [ECF NO. 1] [FIRST REQUEST]
DANIEL J. ALBREGTS UNITED STATES MAGISTRATE JUDGE
Defendants PURE WATER TECHNOLOGIES, by and through its attorney of record, the law offices of MARC D. RISMAN, TASTY ONE, by and through its attorneys of record, MCMENEMY HOLMES PLLC, MICHAEL KAPLAN and ADAM KAPLAN, by and through their attorneys, the law firm of MAIER GUTIERREZ & ASSOCIATES and plaintiffs LUXX INTERNATIONAL, LLC and WAYDE KING (“Plaintiffs”), by and through their attorneys of record, LEWIS ROCA ROTHGERBER CHRISTIE LLP, hereby STIPULATE AND AGREE that Defendants' deadline to file a response to Plaintiffs' Complaint [ECF No. 1] should be extended to and including Wednesday, May 17, 2021.
The current deadline to respond to the complaint is May 3, 2023. This stipulation represents an extension of that deadline of not more than 14 days and is requested to allow newly retained defendants' counsel to gather information and to accommodate a family medical emergency that has affected the availability of Mike and Adam Kaplan to provide information necessary for the response. This extension is sought in good faith and not for purposes of delay. This is the first extension of this deadline.
IT IS SO ORDERED.