- 1 Reilly Dolan Acting General Counsel 2 P.Connell McNulty (PA Bar No. 87966) 3 Federal Trade Commission 4 600 Pennsylvania Avenue, NW, CC-8528 Washington, DC 20580 5 202-326-2061 202-326-3395 (Fax) 6 pmcnulty@ftc.gov 7 Attorneys for Plaintiff Federal Trade Commission 8 9 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 10 FEDERAL TRADE COMMISSION, Civil Action No. 2:11-cv-00283-JCM-GWF 11 Plaintiff, 12 STIPULATION FOR EXTENSION OF v. 13 TIME FOR FEDERAL TRADE IVY CAPITAL, INC., et al., COMMISSION TO RESPOND TO 14 MOTION FOR RELIEF UNDER FED. R. Defendants, and CIV.P. 60(b) (ECF 449) 15 (FIRST REQUEST) CHERRYTREE HOLDINGS, LLC, et al., 16 Relief Defendants. 17 18 19 On May 25, 2021, defendants Benjamin Hoskins and Dream Financial and relief 20 defendants Leanne Hoskins, Oxford Financial LLC, and Mowab, Inc. moved under Fed. R. Civ. 21 P. 60(b) for relief from the “equitable monetary relief portion of the Court’s Final Judgment and 22 Order for Permanent Injunction and Monetary Relief.” See ECF No. 449. The Court issued that 23 underlying judgment on July 5, 2013. See ECF 409. Under L.R. 7-2(b), the Federal Trade 24 Commission’s response to the Rule 60(b) motion is due by June 8. 25 On June 2, counsel for the FTC requested an extension of one week, through June 15, for 1 1 |the FTC to respond to the motion. FTC counsel was not part of the original trial team on this 2 |case, and the extension request was made to allow for additional case file review. Counsel for 3 | the moving parties consented to the FTC’s request. This is the first stipulation for an extension 4 time to respond to the Rule 60(b) motion. 5 WHEREFORE, the FTC and the moving parties stipulate that the FTC shall have until 6 15, 2021, to respond to the Rule 60(b) motion (ECF No. 449). 7 8 SO STIPULATED, June 4, 2021. 9 10) 4/P. Connell McNulty 11 | P- Connell McNulty Attorney for Federal Trade Commission 12 13 14 |S/Pavid R. Koch David R. Koch 15 | Daniel G. Scow Attorneys for Defendants Benjamin Hoskins and Dream Financial 16 Relief Defendants Leanne Hoskins, Oxford Financial LLC, and Mowab, Inc. 17 8 IT IS SO ORDERED: 19 * ©. Malla 21 The Hohorable James C. Mahan 59 United States District Court Judge 23 DATED: June 4, 2021 24 25 1 Certificate of Service 2 I hereby certify that on June 4, 2021, I electronically filed the foregoing document with 3 the Court using CM/ECF, which will send a notice of electronic filing to all counsel of record. 4 5 Date: June 4, 2021 /s/ P. Connell McNulty P.Connell McNulty 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
Document Info
Docket Number: 2:11-cv-00283
Filed Date: 6/4/2021
Precedential Status: Precedential
Modified Date: 6/25/2024