Opinion
2:21-cv-01962-GMN-BNW
04-03-2023
GARMAN TURNER GORDON LLP ERIC R. OLSEN (Nevada Bar No. 3127) JARED M. SECHRIST (Nevada Bar No. 10439) PERKINS COIE LLP JERRY A. RIEDINGER (Admitted Pro Hac Vice) R. TYLER KENDRICK (Admitted Pro Hac Vice) JESSICA J. DELACENSERIE (Admitted Pro Hac Vice) CORY OWAN (Admitted Pro Hac Vice) Attorneys for Plaintiff and Counterdefendants BAKER & HOSTETLER LLP Leif R. Sigmond, Jr. (Pro Hac Vice) Jennifer M. Kurcz (Pro Hac Vice) Scott A. Skiles (Pro Hac Vice) Alaina J. Lakawicz (Pro Hac Vice) Robert P. Leeson (Pro Hac Vice) RICE REUTHER SULLIVAN & CARROLL, LLP David A. Carroll (NSB #7643) Anthony J. DiRaimondo (NSB #10875) Robert E. Opdyke (NSB #12841) Attorneys for Defendant and Counterclaimant
GARMAN TURNER GORDON LLP
ERIC R. OLSEN (Nevada Bar No. 3127)
JARED M. SECHRIST (Nevada Bar No. 10439)
PERKINS COIE LLP
JERRY A. RIEDINGER (Admitted Pro Hac Vice)
R. TYLER KENDRICK (Admitted Pro Hac Vice)
JESSICA J. DELACENSERIE (Admitted Pro Hac Vice)
CORY OWAN (Admitted Pro Hac Vice)
Attorneys for Plaintiff and Counterdefendants
BAKER & HOSTETLER LLP
Leif R. Sigmond, Jr. (Pro Hac Vice)
Jennifer M. Kurcz (Pro Hac Vice)
Scott A. Skiles (Pro Hac Vice)
Alaina J. Lakawicz (Pro Hac Vice)
Robert P. Leeson (Pro Hac Vice)
RICE REUTHER SULLIVAN & CARROLL, LLP
David A. Carroll (NSB #7643)
Anthony J. DiRaimondo (NSB #10875)
Robert E. Opdyke (NSB #12841)
Attorneys for Defendant and Counterclaimant
STIPULATION AND ORDER TO EXTEND TIME FOR ACRES' RESPONSE TO IGT'S MOTION TO LIFT STAY AND IGT REPLY IN SUPPORT OF MOTION TO LIFT STAY
Pursuant to LR IA 6-1 and LR IA 6-2, the Parties, by and through their undersigned counsel, hereby stipulate to and request that Plaintiff Acres 4.0 and Counterdefendants Acres Manufacturing Corporation and John F. Acres (collectively “Acres”) have an extension of time to respond to Defendant IGT's Motion to Lift Stay (ECF No. 134). This is the first request to extend time to respond to IGT's Motion to Lift Stay. IGT filed its Motion to Lift Stay on March 24, 2023, and the current deadline to respond is April 7, 2023. The Parties stipulate to and request a 7-day extension for Acres' response brief, up to and including April 14, 2023.
The Parties, by and through their undersigned counsel, hereby stipulate to and request that Defendant IGT have an extension of time to file its reply in support of its Motion to Lift Stay (ECF No. 134). This is the first request to extend time to file a reply in support of IGT's Motion to Lift Stay. IGT filed its Motion to Lift Stay on March 24, 2023. Its current deadline to file a reply is April 14, 2023. Assuming the Court grants Acres' requested extension to April 14, 2023, IGT's deadline to file a reply would be April 21, 2023. However, the Parties stipulate to and request a 7-day extension for IGT's reply brief, up to and including April 28, 2023.
There is good cause to grant the proposed extensions for Acres to respond to IGT's Motion to Lift Stay and IGT to file its reply in support of its Motion to Lift Stay, due to the time required by the parties to resolve issues relating to access to certain confidential information, prior commitments in other pending matters and personal commitments.
IT IS SO ORDERED.