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Hellerstein v. Desert Lifestyles, LLC
United States District Court, D. Nevada
May 12, 2017
STEVE HELLERSTEIN. an individual; TOM ALLEN, an individual; JED ARMSTRONG, an individual; WENDY ARMSTRONG, an individual; LESLEY ALBERS, an individual; BILL TURNER, an individual- KEVIN BATTY, an individual; JON BRADFORD, an individual; MICHELLE BARDFORD, an individual; JOHN CLERKEN, an individual; KATHY CLERKEN, an individual; LYNNE ELLS, an individual; TOM ELLS, an individual; BOB GOMPERZ, an individual; ROBERT "GONZO" GONZALES, an individual; VIVIAN GONZALES, an individual; MARK GOODE, an individual' RITA GOODE, an individual: DENNY HIBLER, an individual; JEANNE HIBLER, an individual; MELANIE ELLS-HILL, an individual; DAVE HOLTER, an individual; JANIS HOLTER, an individual; MARK JOHNSON, an individual; HARRY KELMAN, an individual; CHANCE LARSEN. an individual; JEFFREY LEVIN, an individual; BILL MANN, an individual; WYNN MANN, an individual; TOM MASSON, an individual; AUDREY MASSON, an individual; JIM MEINEL, an individual; SAM MEINEL, an individual; WADE MOSEMAN, an individual: CASEY MOSEMAN, an individual; DICK NIELSEN, an individual; EDWARD PACKERT, an individual; ADELE PACKERT, an individual; LARRY SANTOS, an individual; MARLA SANTOSL an individual: RICK SCHMIDTKE, an individual; CANDY SCHMIDTKE. an individual: RICK SHIELDS, an individual; ROXIE SHIELDS, an individual; ZANE STEMPLE, an individual; LUANN DEIBERT, an individual; GREG TWEDT, an individual* LINDA TWEDT, an individual; WILLIAM A. WALTER, an individual; MURIEL J. WALTER, an individual; MIKE WEISS, an individual; NANCY WEISS, an individual; JACK WELLS, an individual; PATTI WELLS, an individual; JOE MIR, an individual; FARHAT MIR. an individual; STEVE MERRILL, an individual; KATHEY MERRILL, an individual, Plaintiff,
DESERT LIFESTYLES, LLC, a California limited liability company; WESTERN GOLF PROPERTIES, LLC, a California limited liability company registered in the State of Nevada as a foreign limited liability company; and DOE Individuals I-X and ROE Entities I-X, inclusive,, Defendants. SILVERSTONE RANCH COMMUNITY ASSOCIATION, a Nevada non-profit corporation, Plaintiff in Intervention,
DESERT LIFESTYLES, LLC, a California limited liability company; WESTERN GOLF PROPERTIES, LLC, a California limited liability company registered in the State of Nevada as a foreign limited liability company; STONERIDGETARKWAY, LLC, a California limited liability company; and DOE Individuals I-X and ROE Entities I-X, inclusive, Defendants in Intervention.
Richard E. Haskin. Esq., Timothy P. Elson, Esq., GIBBS GIDEN
LOCHER TURNER, SENET & WITTBRODT LLP, Attorneys for
Plaintiff-In-Intervention SILVERSTONE RANCH COMMUNITY
WINSTON & STRAWN LLP., Saul S. Rostamian, Esq. Attorneys
for Defendant-in-Intervention STONERIDGE PARKWAY, LLC.
DRIGGS WALCH FINE WRAY PUZEY & THOMPSON, Brian W.
Boschee, Esq., Attorneys for Defendants DESERT LIFESTYLES and
WESTERN GOLF PROPERTIES, LLC
PLAINTIFF-IN-INTERVENTION SILVERSTONE RANCH COMMUNITY
ASSOCIATION'S STIPULATION AND ORDER TO CONTINUE RESPONSE
DEADLINES TO VARIOUS MOTIONS
RICHARD F. BOULWARE, II United States District Judge.
NOW Plaintiff-In-Intervention SILVERSTONE RANCH COMMUNITY
ASSOCIATION ("Silverstone"), Defendants DESERT
LIFESTYLES, LLC, and WESTERN GOLF PROPERTIES, LLC (both
referred to as Desert Lifestyles) and
Defendant-In-Intervention STONERIDGE PARKWAY, LLC
(Stoneridge) (all collectively referred to as the
"Parties") by and through their undersigned
counsel, and hereby stipulate and agree as follows:
1. On April 27, 2017, Stoneridge filed its motion to remand
(Doc. 223). Thereafter, on April 28, 2017, Desert Lifestyles
filed its joinder to Stoneridge's motion to remand. (Doc.
2. On April 7, 2017, Danny Modab filed a motion for
intervention to file a response to Silverstone's motion
for leave to amend. (Doc. 229).
3. On April 28, 2017, Desert Lifestyles filed its motion to
dismiss. (Doc. 231).
4. Given the substantive nature of the filing, certain
personal matters involving counsel,  the parties agree that
Silverstone should be permitted some additional time to file
its responses to these matters, as well as any other matter
that required a responsive pleading this week, if such other
matters exist, Silverstone respectfully seeks two (2)
additional judicial days (and with respect to certain
pleadings, one (1) judicial day) with respect to this
briefing. The requested extensions will cause no prejudice to
any parties in this action.
5. As such, the parties agree that Silverstone's
responses to the pleadings set forth herein, or any other
matter that has a responsive pleading deadline this week,
will be due on Monday, May 15, 2017.
6. Should any party choose to submit a filing in response to
Silverstone's responses, the deadline to do so will be
calculated from Monday, May 15, 2017.
7. Good cause exists to extend the response dates for the
reasons set forth herein. The continuances will not prejudice
any party but instead allow the matters to be more fully
briefed and provide better judicial efficiency. Fed.R.Civ.P.
1 (requiring that the rules be "construed, administered,
and employed by the court and the parties to secure the just,
speedy, and inexpensive determination of every action and
CAUSE APPEARING, AND BY STIPULATION OF THE PARTIES, IT IS
HEREBY ORDERED, Plaintiff-In-Intervention SILVERSTONE RANCH
COMMUNITY ASSOCIATION deadline to file its responses to the