Opinion
2:23-cv-01044-CDS-NJK
08-18-2023
Holland & Hart LLP, Sydney R. Gainbee, Robert J. Cassity, Nevada Bar No. 9779, Sydney R. Gambee, Nevada Bar No. 14201, Attorneys for Defendant New Classic Home Furnishing, Inc. Semenza Kircher Rickard, By: Katie L. Cannata, Jarrod L. Rickard, Nevada Bar No. 10203, Katie L. Cannata, Nevada Bar No. 14848, Attorneys for Plaintiff WMCVPhase 1 SPE, LLC.
Holland & Hart LLP, Sydney R. Gainbee, Robert J. Cassity, Nevada Bar No. 9779, Sydney R. Gambee, Nevada Bar No. 14201, Attorneys for Defendant New Classic Home Furnishing, Inc.
Semenza Kircher Rickard, By: Katie L. Cannata, Jarrod L. Rickard, Nevada Bar No. 10203, Katie L. Cannata, Nevada Bar No. 14848, Attorneys for Plaintiff WMCVPhase 1 SPE, LLC.
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (FIRST REQUEST)
Defendant, NEW CLASSIC HOME FURNISHING, INC., (“New Classic” or “Defendant”), and Plaintiff, WMCV PHASE 1 SPE, LLC (“Plaintiff'), by and through their undersigned attorneys, hereby stipulate, pursuant to LRIA-6-1 and 6-2, to extend the deadline for New Classic to file and serve its Reply in support of Motion to Dismiss Complaint (“ECF No. 8) by approximately two weeks, until and including September 5, 2023. Plaintiffs Opposition to the Motion to Dismiss (ECF No. 25) was filed on August 14, 2023, pursuant to Order granting Stipulation (ECF No. 18). Absent the extension, the deadline for New Classic to file its Reply is August 21, 2023. This is the first request by the Parties for an extension of this deadline. ///
This stipulation is made in good faith and not in an attempt to delay proceedings, but rather is made to accommodate the schedules of defense counsel and then client in preparing the Reply, and to allow for client review of the Reply.
ORDER
IT IS SO ORDERED.