Opinion
2:22-cv-01358-RFB-DJA
11-21-2022
Eric Scholer, an individual Nevada resident; Scholer & Sons, LLC, a Nevada limited liability company; Plaintiffs, v. Richard Vairo Santos, an individual residing in Florida; Richard's Brazilian Sausage, LLC, a Florida limited liability company; Ewerton Consulting and Investments, LLC, a Florida limited liability company; Ewerton Vairo Consulting and Investments, LLC; PNC BANK, a Pennsylvania Company named as a nominal defendant only; Defendants.
SCHOLER & SONS, LLC Jeffrey R. Hall Ariel Johnson Jacob A. Reynolds (10199) SCHOLER & SONS, LLC Attorneys for Plaintiffs GIBBS GIDEN LOCHER TURNER SENET & WITTBRODT LLP Alejandro F. Garcia, Esq. Pro Hac Vice RAMHOFER GARCIA, PLLC Alexis M. De La Rosa. Esq. Pro Hac Vice Attorneys for Defendants Richard Vairo Santos, Richard's Brazilian Sausage, LLC, Ewerton Consulting and Investments, LLC, Ewerton Vairo Consulting and Investments, LLC
SCHOLER & SONS, LLC Jeffrey R. Hall Ariel Johnson Jacob A. Reynolds (10199) SCHOLER & SONS, LLC Attorneys for Plaintiffs
GIBBS GIDEN LOCHER TURNER SENET & WITTBRODT LLP Alejandro F. Garcia, Esq. Pro Hac Vice RAMHOFER GARCIA, PLLC Alexis M. De La Rosa. Esq. Pro Hac Vice Attorneys for Defendants Richard Vairo Santos, Richard's Brazilian Sausage, LLC, Ewerton Consulting and Investments, LLC, Ewerton Vairo Consulting and Investments, LLC
STIPULATION AND ORDER TO EXTEND DEADLINE FOR REPLY IN SUPPORT OF DEFENDANTS' MOTION TO DISMISS (ECF NO. 28)
RICHARD F. BOULWARE, II JUDGE.
Plaintiffs Eric Scholer and Scholer & Sons, LLC (“Plaintiffs”), Defendant Richard Vairo Santos, Richard's Brazilian Sausage, LLC, Ewerton Consulting and Investments, LLC, Ewerton Vairo Consulting and Investments, LLC (referred to hereafter collectively as “Defendants”), by and through their respective undersigned counsel, hereby stipulate and agree as follows:
Defendants' Reply in Support of Defendants' Motion to Dismiss (ECF No. 28) is due on Friday, November 18, 2022.
To accommodate the needs of potential witnesses in response to the Motion and the translation of foreign language evidence, it is stipulated that Defendants have an additional four (4) days to file a Reply in support of the Motion to dismiss.
Accordingly, the Parties stipulate that the Reply will be due on Tuesday November 22, 2022.
ORDER
IT IS HEREBY ORDERED that the due date for Defendants' Reply in Support of Defendants' Motion to Dismiss shall be Tuesday November 22, 2022.