Opinion
2:21-cv-00046-JAD-NJK
08-25-2022
ANTHONY TORRES, Plaintiff, v. GUSTAVO CONCHAS, individually; THE FISHEL COMPANY, an Ohio Foreign Corporation; DOES 1 through 20, inclusive; and ROE BUSINESS ENTITIES 1 through 20, inclusive, Defendants.
SIMON LAW Daniel S. Simon, Esq., NV Bar No. 4750 Benjamin J. Miller, Esq., NV Bar No. 10406 Ashley M. Ferrel, Esq., NV Bar No. 122027 BROCK K. OHLSON PLLC Brock K. Ohlson, NV Bar No. 12262 Justin A. Corne, NV Bar No. 14504 CLARK LAW GROUP, PLLC C. Jared Clark, NV Bar No. 13672 Attorneys for Plaintiff HONE LAW Joel Z. Schwarz, NV Bar No. 9181 Kathryn C. Newman, NV Bar No. 13733 Attorneys for Defendants
SIMON LAW Daniel S. Simon, Esq., NV Bar No. 4750 Benjamin J. Miller, Esq., NV Bar No. 10406 Ashley M. Ferrel, Esq., NV Bar No. 122027 BROCK K. OHLSON PLLC Brock K. Ohlson, NV Bar No. 12262 Justin A. Corne, NV Bar No. 14504 CLARK LAW GROUP, PLLC C. Jared Clark, NV Bar No. 13672 Attorneys for Plaintiff
HONE LAW Joel Z. Schwarz, NV Bar No. 9181 Kathryn C. Newman, NV Bar No. 13733 Attorneys for Defendants
ORDER GRANTING REQUEST FOR EXTENSION OF DEADLINE TO FILE PROPOSED ORDER OF DISMISSAL ECF No. 66
Plaintiff Anthony Torres (“Plaintiff”) and Defendants Gustavo Conchas and The Fishel Company (together, “Defendants,” and collectively “the Parties”), by and through their respective undersigned counsel of record, hereby jointly Notify the Court:
1. The documentation of the Parties' settlement, as referenced in the June 23, 2022 Joint Notice of Settlement and Request for Stay of Proceedings [ECF No. 62] has been completed, a settlement agreement has been executed by the Parties, and performance of the terms of the settlement agreement is ongoing.
2. The Parties anticipate that the performance of the terms of the settlement agreement will be substantially completed within the next 7-10 business days, at which point the Parties will file a proposed order of dismissal.
3. While it remains possible that a proposed order of dismissal will be filed before the current August 21, 2022 deadline set forth in ECF No. 63, in an abundance of caution the Parties respectfully request an extension of the deadline to file a proposed order of dismissal to August 31, 2022.
IT IS SO ORDERED: