Opinion
2:22-cv-01773-JCM-EJY
07-11-2023
SMITH & WESSON BRANDS, INC.; SMITH & WESSON INC., Plaintiffs, v. SW NORTH AMERICA, INC., Defendant.
Joel E. Tasca, Esq. Nevada Bar No. 14124 Madeleine Coles Nevada Bar No. 16216 BALLARD SPAHR LLP Hara K. Jacobs, Esq. Admitted Pro Hac Vice Noah S. Robbins, Esq. Admitted Pro Hac Vice BALLARD SPAHR LLP Attorney for Plaintiffs Smith & Wesson Brands, Inc., Smith & Wesson Inc. LEWIS BRISBOIS BISGAARD & SMITH LLP Joel Z. Schwarz, Esq. Nevada Bar No. 9181 Daniel C. DeCarlo, Esq. California Bar No. 160307 Admitted Pro Hac Vice William G. Cravens, Esq. Colorado Bar No. 54315 Admitted Pro Hac Vice Attorneys for Defendant SW North America, Inc.
Joel E. Tasca, Esq.
Nevada Bar No. 14124
Madeleine Coles
Nevada Bar No. 16216
BALLARD SPAHR LLP
Hara K. Jacobs, Esq.
Admitted Pro Hac Vice
Noah S. Robbins, Esq.
Admitted Pro Hac Vice
BALLARD SPAHR LLP
Attorney for Plaintiffs Smith & Wesson Brands, Inc., Smith & Wesson Inc.
LEWIS BRISBOIS BISGAARD & SMITH LLP
Joel Z. Schwarz, Esq. Nevada Bar No. 9181
Daniel C. DeCarlo, Esq. California Bar No. 160307
Admitted Pro Hac Vice
William G. Cravens, Esq. Colorado Bar No. 54315
Admitted Pro Hac Vice
Attorneys for Defendant SW North America, Inc.
STIPULATION AND ORDER TO EXTEND DEADLINE FOR FILING DISCOVERY PLAN AND PROPOSED SCHEDULING ORDER
Pursuant to this Court's Order Granting Joint Motion for Partial Stay of Discovery [ECF No. 62], Plaintiffs Smith & Wesson Brands, Inc. and Smith & Wesson Inc. (collectively, “Smith & Wesson”) and Defendant SW North America, Inc. (“SWNA”) were directed to file a discovery plan and proposed scheduling order within ten (10) days of the date on which the Court issued an order resolving the pending motions to dismiss. [ECF Nos. 34, 52]. As this Court issued an order resolving those motions on July 5, 2023 [ECF No. 63], the Parties' discovery plan and proposed scheduling order is currently due on July 17, 2023.
Smith & Wesson and SWNA, by and through their respective undersigned counsel of record, HEREBY STIPULATE AND AGREE to extend the time for filing the discovery plan and proposed scheduling order 14 days, until July 31, 2023. Counsel for Smith & Wesson seek this extension in good faith to accommodate the fact that lead counsel is currently out of the country and another attorney is presently attending to a family medical emergency.
This is the first request for such an extension, and it is made in good faith and not for purposes of delay.
ORDER
IT IS SO ORDERED: