Domesticating Foreign Judgments in Nevada Under NRS 17.350. When to Record

MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF PLAINTIFFS’ OPPOSITION TO DEFENDANT ALESSI’S MOTION TO REMOVE JUDGMENT LIEN Plaintiffs and Judgment Creditors 3405/3407 SLAUSON AVENUE, LLC, a California limited liability company; DAVID BEN ELIYAHU, an individual; ABRAHAM BEN ELIYAHU, an individual (“Judgment Creditors”) hereby oppose Judgment Debtor David A. Alessi’s Motion to Remove Judgment Lien […]

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The Discovery Rule, Statutes of Limitations and Surety Bond Contractual Limitation Clauses

SURETEC INSURANCE COMPANY’S OPPOSITION TO DEVELOPER’S SURETY AND INDEMNITY COMPANY’S MOTION FOR SUMMARY JUDGMENT; AND REQUEST FOR FURTHER DISCOVERY BEFORE RULING ON MOTION COMES NOW Defendant, Third-Party Plaintiff, SURETEC INSURANCE COMPANY (hereinafter “SureTec” or “Third-Party Plaintiff”), by and through its undersigned counsel of record, and opposes the Motion for Summary Judgment filed by Developer’s Surety […]

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Trip and Fall Complaint Against Texas Station for Defective Door

COMES NOW, Plaintiff EFFIE WILLIAMSl (hereinafter “Plaintiff”), by and through her attorneys of record, ALBRIGHT, STODDARD, WARNICK & ALBRIGHT, and as and for her Complaint against Defendant TEXAS STATION limited liability company, d/b/a TEXAS STATION HOTEL & CASINO (hereinafter “Defendant”), DOES I through X, and ROE CORPORATIONS I through XX, inclusive, alleges and avers as […]

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NRCP 62 Motion for Stay in Nevada Pending Appeal

G. MARK ALBRIGHT, ESQ. # 001394 D. CHRIS ALBRIGHT, ESQ. #004904 ALBRIGHT, STODDARD, WARNICK & ALBRIGHT801 South Rancho Drive, Suite D-4Las Vegas, Nevada 89106Tel: (702) 384-7111Fax: (702) 384-0605gma@albrightstoddard.comdca@albrightstoddard.comAttorneys for Movants/Defendants IN THE SECOND JUDICIAL DISTRICT COURT OF THE STATE OF NEVADA IN AND FOR THE COUNTY OF WASHOE MARK B. STEPPAN, Plaintiff,vs. JOHN ILIESCU, JR. […]

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