Opinion
Defendant. 2:23-cv-01024-APG-VCF
07-24-2023
GARMAN TURNER GORDON LLP ERIC R. OLSEN NEVADA BAR NO. 3127 LAS VEGAS, NV 89119 CLINT S. MORSE N.C. STATE BAR NO. 38384 BROOKS, PIERCE, MCLENDON, HUMPHREY & LEONARD, L.L.P. PRO HAC VICE APPLICATION TO BE SUBMITTED ATTORNEYS FOR PLAINTIFF
GARMAN TURNER GORDON LLP
ERIC R. OLSEN
NEVADA BAR NO. 3127
LAS VEGAS, NV 89119
CLINT S. MORSE
N.C. STATE BAR NO. 38384
BROOKS, PIERCE, MCLENDON, HUMPHREY & LEONARD, L.L.P.
PRO HAC VICE APPLICATION TO BE SUBMITTED
ATTORNEYS FOR PLAINTIFF
MOTION TO EXTEND TIME TO FILE PRO HAC VICE APPLICATION OF CLINT S. MORSE
(FIRST REQUEST)
Plaintiffs PPA ENTERPRISES, LLC (“Plaintiff'), by and through its counsel Eric R. Olsen, Esq. of the law firm of Garman Turner Gordon, and hereby files this Motion for Extension of Time to File Pro Hac Vice Application of Clint S. Morse, from the current deadline of July 19, 2023, pursuant to LR IA 6-1.
This Motion is made and based on the following Memorandum of Points and Authorities, the other papers and pleadings on file, and any oral argument the Court may permit at the hearing of this matter.
MEMORANDUM OF POINTS AND AUTHORITIES
I.
LEGAL ARGUMENT
Plaintiff commenced this action by filing the complaint, on July 3, 2023. [ECF No. 1] The face of the complaint indicated that Clint S. Morse, of BROOKS, PIERCE, MCLENDON, HUMPHREY & LEONARD, L.L.P. in Greensboro, North Carolina, would be submitting an application for admission to practice in this action pro hac vice. On July 5, 2023, the Court issued its NOTICE TO COUNSEL PURSUANT TO LOCAL RULE IA 11-2. [ECF No. 2] In the Notice, the Court set a deadline of July 19, 2023 for Mr. Morse to submit his application for admission to practice pro hac vice, pursuant to IA 11-2(e).
Unfortunately, Mr. Morse is currently hospitalized and unable to complete his pro hoc vice application. (Additional details can be provided if the Court requires them.) Although Mr. Morse does not at this time know when he may be released from the hospital, the undersigned moves the Court for an initial 14-day extension of the deadline, pursuant to LR IA 6-1. This is Plaintiff's first request for any extension of time.
II.
CONCLUSION
Based on the foregoing, Plaintiff respectfully request the Court grant Plaintiff's Motion. Dated this 19th day of July 2023.
IT IS SO ORDERED.