Diamond Resorts International, Inc. v. Reed Hein & Associates, LLC

District Court, D. Nevada·Decided September 30, 2020·No. 2:17-cv-03007·Unknown

Opinion

Jeffrey Backman, Esq. (admitted Pro Hac Vice) Michelle Durieux, Esq. (admitted Pro Hac Vice) 200 East Broward Blvd., Ste. 1800 Fort Lauderdale, FL 33301 Tel: 954 491-1120 Facsimile: 954-343-6958 Richard.Epstein@gmlaw.com Jeffrey.Backman@gmlaw.com Michelle.Durieux@gmlaw.com Phillip A. Silvestri, Esq. Nevada Bar No. 11276 3993 Howard Hughes Parkway, Ste. 400 Las Vegas, NV 89169 Tel: 702-978-4249 Fax: 954-333-4256 Phillip.Silvestri@gmlaw.com Kimberly Maxson-Rushton 675 Nevada Bar No. 5065 Gregory Kraemer 3016 W. Charleston Blvd., #195 Las Vegas, NV 89102 T: (702) 366-1125 F: (702) 366-1857 krushton@cooperlevenson.com gkraemer@cooperlevenson.com Attorneys for Plaintiff UNITED STATES DISTRICT COURT DISTRICT OF NEVADA DIAMOND RESORTS U.S. COLLECTION Case No.: 2:17-cv-03007-APG-VCF DEVELOPMENT, LLC, a Delaware Limited Liability Company, Plaintiff, STIPULATION AND ORDER TO v. EXTEND DEADLINE TO FILE REPLY IN SUPPORT OF MOTION TO REED HEIN & ASSOCIATES, LLC d/b/a COMPEL [ECF #284] TIMESHARE EXIT TEAM, a Washington Limited Liability Company; BRANDON REED, [Second Request] an individual and citizen of the State of Washington; TREVOR HEIN, an individual and citizen of Canada; THOMAS PARENTEAU, an Washington; HAPPY HOUR MEDIA GROUP, L ML IC TC, a H W ELa Lsh Rin .g Sto Un S L Si Mm Aite Nd , L Ei Sa Qbi .l i dty /b C /ao Tm Hp Ean y; SUSSMAN & ASSOCIATES, an individual and citizen of the State of California; SCHROETER, GOLDMARK & BENDER, P.S., a Washington Professional Services Corporation; and KEN B. PRIVETT, ESQ., a citizen of the State of Oklahoma, Defendants. Pursuant to LR IA 6-1 and Fed. R. Civ. P. 6(b)(1)(A) (“FRCP”), Plaintiff Diamond Resorts U.S. Collection Development, LLC (“Plaintiff”), and Defendant Reed Hein & Associates d/b/a/ Timeshare Exit Team (“Defendant”) hereby stipulate to extend Plaintiff’s deadline to file a Reply in support of Plaintiff’s Motion to Compel [ECF #284] (the “Motion”), currently set for October 2, 2020, until October 9, 2020, and as grounds state as follows: 1. Plaintiff filed the Motion on August 19, 2020. 2. Defendant filed its Opposition on September 11, 2020, after a brief extension to its response deadline. 3. Plaintiff recently completed drafting its Reply in Support of its Motion to Overrule SGB’s Privilege Claims, which is a fundamental issue in this litigation. Plaintiff is also in the process of drafting its opposition to SGB’s Motion for Leave to file supplemental evidence in support of its Opposition related to the privilege motion. 4. In addition to working on related briefing, Defendant’s Opposition raised several points related to documents that have been produced, but were not been specifically identified by bates reference. Counsel for Defendant recently provided bates references Defendant indicates are related to the referenced productions, and Plaintiff is evaluating these assertions. 5. In order to adequately respond to Defendant’s Opposition, and the issues presented therein, the Parties agree that Plaintiff’s deadline to file its Reply in support of the Motion be extended an additional week, up to and including October 9, 2020. 6. The hearing on this matter is scheduled on October 26, 2020. Accordingly this 1 extension will not impact the current hearing. 2 7. This is the Parties’ second request for extension of this deadline, and it is not 3 intended to cause any delay or prejudice to any party. Defendant does not object to the requested 4 extension. 5 Dated this 30th day of September, 2020 8 /s/ Phillip A. Silvestri /s/ Dione C. Wrenn PHILLIP A. SILVESTRI, ESQ. ROBERT S. LARSEN, ESQ. 9 Nevada Bar No. 11276 Nevada Bar No. 7785 10 3993 Howard Hughes Parkway, Suite 400 DAVID T. GLUTH, II, ESQ. Las Vegas, NV 89169 Nevada Bar No. 10596 % 1] ||Attorneys for Plaintiff DIONE C. WRENN, ESQ. Diamond Resorts Corporation Nevada Bar No. 13285 Aas 12 300 South 4" Street, Suite 1550 B Las Vegas, Nevada 89101 EGE = 14 Attorneys for Defendants 9 Reed Hein & Associates, LLC dba Timeshare 15 Exit Team, Brandon Reed, Trevor Hein, a = Thomas Parenteau, and Happy Hour Media 16 Group, LLC E17 18 19 IT IS SO ORDERED 21 UNITED STATES MAGISTRATE JUDGE 22 23 DATED: 9-30-2020 24 25 26 27 28

2 I HEREBY CERTIFY that I electronically filed the foregoing with the Clerk of the Court by using the CM/ECF system on this 17th day of September 2020. I also certify that the foregoing document is being served this day on all counsel of record or pro se parties identified on the Court’s Service List via transmission of Notices of Electronic Filing generated by CM/ECF. For any counsel or parties who are not are not authorized to receive Notices of Electronic Filing electronically, I certify that I served those parties via First Class U.S. Mail. /s/ Phillip A. Silvestri An employee of Greenspoon Marder LLP

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Diamond Resorts International, Inc. v. Reed Hein & Associates, LLC, (D. Nev. 2020).

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