Campagna v. Arroweye Solutions, Inc.
Campagna v. Arroweye Solutions, Inc.
Trial Court Opinion
1 LINH T. HUA, ESQ. (Admitted Pro Hac Vice) 2 DIONE C. WRENN, ESQ. Nevada Bar No. 13285 3 GORDON REES SCULLY MANSUKHANI, LLP 4 300 South 4th Street, Suite 1550 Las Vegas, Nevada 89101 5 Telephone: (702) 577-9300 Facsimile: (702) 255-2858 6 E-Mail: [email protected] [email protected] 7 8 Attorneys for Arroweye Solutions, Inc. and Mica Moseley 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 12 JENNIFER CAMPAGNA, an individual, Case No.: 2:21-cv-00581-JCM-VCF 13 Plaintiff, STIPULATION AND ORDER TO 14 vs. EXTEND TIME TO FILE REPLY IN SUPPORT OF DEFENDANTS 15 ARROWEYE SOLUTIONS, INC., a Delaware ARROWEYE SOLUTIONS, INC. corporation; MICA MOSELEY, an individual; AND MICA MOSELEY’S MOTION 16 DOES I through X, inclusive; and ROE BUSINESS FOR SUMMARY JUDGMENT ENTITIES, I through X, inclusive, 17 (SECOND REQUEST) Defendants. 18 19 Defendants ARROWEYE SOLUTIONS, INC. (“Arroweye”) and MICA MOSELEY 20 (“Moseley”) (collectively, “Defendants”), by and through their attorneys, Linh T. Hua, Esq. and 21 Dione C. Wrenn, Esq. of Gordon Rees Scully Mansukhani LLP, and Plaintiff JENNIFER 22 CAMPAGNA (“Plaintiff”), by and through her attorney, Jill Garcia, Esq. of Hone Law, hereby 23 stipulate and agree as follows: 24 1. Defendants filed their Motion for Summary Judgment (“Motion”) on January 17, 25 2023 [ECF No. 66]. 26 27 1 2. On March 7, 2023, Plaintiff filed an opposition to Defendants’ Motion [ECF No. 2 73]. By way of stipulation, the parties agreed to the deadline on which Plaintiff filed her 3 opposition. See ECF Nos. 67, 69, and 70. 4 3. On March 21, 2023, the Parties submitted a stipulation and proposed order to 5 extend the deadline for Defendants to file their reply in support of their Motion for Summary 6 Judgment from March 21, 2023 to April 4, 2023. See ECF No. 74. 7 4. The Court granted the proposed order. See ECF No. 75. 8 5. Defense counsel’s schedule is severely compacted due to providing substantive 9 assistance in an ongoing trial that is currently in its seventh week of testimony as well as 10 providing coverage on other cases for the lead trial attorney. 11 6. Defendants request additional time, up to and including Friday, April 14, 2023, 12 to file their reply in support of the Motion. 13 7. This is Defendants second and final request for an extension of the reply deadline, 14 and it is not intended to cause any delay or prejudice to any party. 15 8. Plaintiff does not oppose Defendants’ requested extension. 16 / / / 17 / / / 18 / / / 19 / / / 20 / / / 21 / / / 22 / / / 23 / / / 24 / / / 25 / / / 26 / / / 27 / / / 1 9. Accordingly, Defendants will file their reply in support of the Motion on Friday, 2 || April 14, 2023. 4 IT IS SO STIPULATED. DATED this 3rd day of April, 2023. DATED this 3rd day of April, 2023. 7 GORDON REES SCULLY HONE LAW MANSUKHANI /s/ Dione C. Wrenn /s/ Jill Garcia 9 || LINH HUA, ESQ. JILL GARCIA, ESQ. (Admitted Pro Hac Vice) Nevada Bar No. 7805 10 |} DIONE C. WRENN, ESQ. 701 N. Green Valley Parkway, Suite 200 4 Nevada Bar No. 13285 Henderson, Nevada 89074
300 South 4" Street, Suite 1550 Attorney for Plaintiff, g _ 12 Las Vegas, Nevada 89101 Jennifer Campagna 3 2 = Attorneys for Defendants, EG 13 || Arroweye Solutions, Inc. and 2 Bz Mica Moseley
9 a = 4 15 = 16 IT IS SO ORDERED.
7 © tg Mea OO FFT □□□ (UNITED STATES DISTRICT COURT JUDGE 18 . DATED: April 4, 2023 19 20 21 22 23 24 25 26 27 28 -3-
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