Opinion
3:22-ms-00006-CAB
10-26-2022
ATUL MINOCHA, Petitioner, v. AUTO COMPANY XXV, INC., d/b/a/ MERCEDES-BENZ OF RENO, Respondent.
Martin A. Little, Esq. Nevada Bar No. 7067 Jonathan W. Fountain, Esq. Nevada Bar No. 10351 Alexander Villamar, Esq. Nevada Bar No. 9927 HOWARD & HOWARD ATTORNEYS PLLC Attorneys for Respondent Auto Company XXV, Inc. d/b/a/ Mercedes-Benz of Reno WHITNEY CRAIG WILCHER WHITNEY CRAIG WILCHER, ESQ. ATTORNEY FOR PETITIONER ATUL MINOCHA
Martin A. Little, Esq.
Nevada Bar No. 7067
Jonathan W. Fountain, Esq.
Nevada Bar No. 10351
Alexander Villamar, Esq.
Nevada Bar No. 9927
HOWARD & HOWARD ATTORNEYS PLLC
Attorneys for Respondent Auto Company XXV, Inc. d/b/a/ Mercedes-Benz of Reno
WHITNEY CRAIG WILCHER WHITNEY CRAIG WILCHER, ESQ.
ATTORNEY FOR PETITIONER ATUL MINOCHA
STIPULATION AND ORDER FOR EXTENSION OF TIME
(FIRST REQUEST)
Pursuant to Rule 6(b)(1) of the Federal Rules of Civil Procedure and District of Nevada Local Rules IA 6-1 and 7-1(a), Petitioner Atul Minocha (“Petitioner” or “Minocha”) and Respondent Auto Company XXV, Inc. d/b/a/ Mercedes-Benz of Reno (“Respondent” or “MB Reno”) hereby agree and stipulate: (1) that Respondent has, on October 24, 2022, accepted service of Petitioner's Motion to Enforce Subpoena and the Exhibits thereto filed on October 11, 2022 (ECF Nos. 2, 3) (together, the “Motion”); and (2) Respondent shall have up to and through November 14, 2022 to file and serve its opposition to the Motion.
The parties submit that good cause for the requested extension exists because, prior to October 24, 2022, Respondent had not been served with the Motion, and Respondent has just recently retained its undersigned counsel who require more time than provided for in LR 7-2(b) to investigate the substance of the Motion and prepare, file, and serve an opposition to the Motion.
This is the first stipulation seeking an extension of time for Respondent to file and serve an opposition to the Motion.
IT IS SO AGREED AND STIPULATED:
IT IS SO ORDERED:
IT IS SO ORDERED: