Alvarez v. Emergency Site Protection, LLC et al

Western District of Texas, txwd-5:2018-cv-01298

Joint MOTION for Extension of Time to File Proposed Scheduling Order by GRYPHON HOLDCO, LLC. Motions referred to Judge Elizabeth S. Chestney.

Interested in this case?

Current View

Full Text

UNITED STATES DISTRICT COURT WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION JOSUE ALVAREZ, § Individually and on behalf of all others § similarly situated, § § Plaintiff, § § vs. § NO. 5:18-CV-01298-FB-ESC § GRYPHON HOLDCO, LLC, and § SANCHEZ OIL & GAS CORPORATION, § § Defendants. § § JOINT MOTION TO EXTEND DEADLINE TO FILE PROPOSED SCHEDULING ORDER Plaintiff Josue Alvarez, individually and on behalf of all others similarly situated, and Defendant Gryphon Holdco, LLC hereby jointly move this Honorable Court to extend the deadline set in its Order for Scheduling Recommendations and Advisory Concerning Assignment of Magistrate Judge (ECF No. 20) to file a proposed scheduling order by 30 days, thus extending the deadline to file a proposed scheduling order from June 17, 2019 to July 17, 2019. 1. On May 23, 2019, Defendant Gryphon Holdco, LLC filed a Motion to Dismiss and Compel Arbitration. See ECF No. 30. 2. On, June 6, 2019 Plaintiff filed a Response to Defendant Gryphon Holdco, LLC's Motion to Dismiss and Compel Arbitration. ECF No. 31. 3. On June 13, 2019, Defendant Gryphon Holdco, LLC filed a Reply in Support of its Motion to Dismiss and Compel Arbitration. ECF No. 32. 1 3247426 4. Defendant Gryphon Holdco, LLC's Motion to Dismiss and Compel Arbitration is ripe for review. The parties believe it best to wait for this Court's ruling on Defendant Gryphon Holdco, LLC's Motion to Dismiss and Compel Arbitration prior to convening and filing a proposed scheduling order in this matter, given the possibility that such deadlines would become moot should this Court grant Defendant Gryphon Holdco, LLC's Motion to Dismiss and Compel Arbitration. Accordingly, the parties move this Court to extend the deadline to file a proposed scheduling order by 30 days to July 17, 2019. ANDERSON ALEXANDER, PLLC By: /s/ Clif Alexander * Clif Alexander Texas Bar No. 24064805 clif@a2xlaw.com Lauren E. Braddy Texas Bar No. 24071993 lauren@a2xlaw.com Alan Clifton Gordon Texas Bar No. 00793838 cgordon@a2xlaw.com Carter T. Hastings Texas Bar No. 24101879 carter@a2xlaw.com 819 North Upper Broadway Corpus Christi, Texas 78401 Telephone: (361) 452-1279 Facsimile: (361) 452-1284 Attorneys for Plaintiff Josue Alvarez *Signed by Permission 2 3247426 CHAMBERLAIN, HRDLICKA, WHITE, WILLIAMS & AUGHTRY By: /s/ Annette A. Idalski Annette A. Idalski Texas Bar No. 00793235 191 Peachtree Street, N.E. Thirty-Fourth Floor Atlanta, GA 30303-1747 Telephone: (404) 659-1410 Facsimile: (404) 659-1852 annette.idalski@chamberlainlaw.com and Stephanie M. Gilliam Texas Bar No. 24083071 1200 Smith Street, Suite 1400 Houston, Texas 77002 Telephone: (713) 654-9608 Facsimile: (713) 658-2553 stephanie.gilliam@chamberlainlaw.com Attorneys for Defendant Gryphon Holdco, LLC CERTIFICATE OF SERVICE On June 17, 2019, I electronically submitted the foregoing document with the clerk of court for the U.S. District Court, Western District of Texas, using the electronic case filing system of the court. I hereby certify that I have served all counsel of record electronically. /s/ Annette A. Idalski 3 3247426