P&L Sales Group Inc. v. Twisted Brands LLC
P&L Sales Group Inc. v. Twisted Brands LLC
Trial Court Opinion
1 W. West Allen, Esq. Nevada Bar No. 5566 2 Jonathan W. Fountain, Esq. Nevada Bar No. 10351 3 HOWARD & HOWARD ATTORNEYS PLLC 3800 Howard Hughes Parkway, Suite 1000 4 Las Vegas, Nevada 89169 Telephone: (702) 257-1483 5 Email: [email protected] Email: [email protected] 6 Attorneys for Defendants, Twisted Brands LLC, 7 Colin Episcopo, Scot Greve, and Cheryl Natlo 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 P&L SALES GROUP INC, a Nevada Corporation, Case No.: 20-cv-00810-APG-NJK 11 Plaintiff, STIPULATION EXTENDING TIME FOR 12 DEFENDANTS TO FILE RESPONSIVE vs. PLEADINGS AND ACCEPTANCE OF 13 SERVICE OF PROCESS TWISTED BRANDS LLC, a Florida Limited 14 Liability Company; COLIN EPISCOPO, a Florida (First Request) Resident; SCOT GREVE, a Florida Resident; 15 CHERYL NATLO, a Florida Resident, 16 Defendants. 17 18 Pursuant to Local Rules LR IA 6-2 and LR 7-1, PlaintiffP&L Sales Group Inc. (“P&L”), and 19 Defendants Twisted Brands LLC, Colin Episcopo, Scot Greve and Cheryl Natlo (collectively 20 “Defendants”) hereby submit this stipulation and proposed order as follows: 21 1. Defendants Twisted Brands LLC and Cheryl Natlo were served on June 18, 2020. The 22 remaining two individual defendants (Scot Greve and Colin Episcopo) residing in Florida have not yet 23 been personally served by the Plaintiff in this action. The parties and their counsel desire to expedite 24 service of process and to afford counsel for the Defendants sufficient time to prepare a response to 25 Plaintiff’s Complaint. Additional time also is necessary for the retention of local counsel—completed 26 on or about July 1, 2020—and for the Defendants and their new counsel to adequately review and 27 understand the complexities of the case. 1 2. The parties and their respective counsel have consulted and agreed that additional time to prepare and file a response to this action is appropriate under these circumstances. This time will 3 || better enable counsel to confer with all of the named defendants and prepare a response to □□□□□□□□□□ 4 || Complaint without the need to await individual service of process of the remaining parties. 5 3. The law firm Malloy and Malloy P.L. will accept service of process of the Summons 6 || and Complaint on behalf of Defendants Scot Greve and Colin Episcopo either by mail or email at 7 || either
2800 S.W. 34Ave., Miami, FL 33129 or [email protected] respectively. 8 4, Based upon the foregoing and for good cause shown, Defendants shall have additional 9 || time, through and including, July 30, 2020, to file responsive pleadings to the Complaint. 10 This is the first stipulation for extension of time to file responsive pleadings. The parties and 11 || their counsel jointly request an order entering this stipulation. 12 DATED this 8™ day of July, 2020. 13 BAYRAMOGLU LAW OFFICES LLC. 14 By: /s/Nihat Deniz Bayramoglu NIHAT DENIZ BAYRAMOGLJU, ESQ. IS (Nevada. Bar No. 14030) 16 1540 West Warm Springs Road, Suite 100 Henderson, Nevada 89014 17 Attorneys for Plaintiff, P&L Sales Group Inc. 18 19 HOWARD & HOWARD ATTORNEYS PLLC
0 By: //W. West Allen W. West Allen, Esq. (Bar No. 5566) 1 Jonathan W. Fountain, Esq. (Bar No. 10351) 3800 Howard Hughes Pkwy., Suite 1000 22 Las Vegas, Nevada 89169 Attorneys for Defendants, Twisted Brands LLC, Colin 23 Episcopo, Scot Greve, and Cheryl Natlo 24 25 IT IS SO ORDERED. 26 DATED July 9, 2020 □□□ es
28 UNITED STAT SM AGISTRATE JUDGE
Reference
- Status
- Unknown