Opinion
2:22-cv-00412-RFB-BNW
06-28-2023
EVERETT BLOOM, JACK GRAHAM, AND DAVE LINDHOLM, on behalf of themselves, and those similarly situated, Plaintiffs, v. ZUFFA, LLC; ENDEAVOR STREAMING, LLC and ENDEAVOR GROUP HOLDINGS, INC. Defendants.
CAMPBELL & WILLIAMS J. COLBY WILLIAMS (Nev. Bar No. 5549) PAUL HASTINGS LLP SUSAN K. LEADER (admitted pro hac vice) ALI R. RABBANI (admittedpro hac vice) STEPHANIE V. BALITZER (admitted pro hac vice) Attorneys for Defendants Zuffa, LLC, Endeavor Streaming, LLC, and Endeavor Group Holdings, Inc. Anthony J. Patek Seth A. Safier Marie A. McCrary Kali Backer GUTRIDE SAFIER LLP Attorneys for Plaintiffs
CAMPBELL & WILLIAMS
J. COLBY WILLIAMS (Nev. Bar No. 5549)
PAUL HASTINGS LLP
SUSAN K. LEADER (admitted pro hac vice)
ALI R. RABBANI (admittedpro hac vice)
STEPHANIE V. BALITZER (admitted pro hac vice)
Attorneys for Defendants
Zuffa, LLC, Endeavor Streaming, LLC, and Endeavor Group Holdings, Inc.
Anthony J. Patek
Seth A. Safier
Marie A. McCrary
Kali Backer
GUTRIDE SAFIER LLP
Attorneys for Plaintiffs
STIPULATION AND [PROPOSED] ORDER EXTENDING DEFENDANTS' DEADLINE TO ANSWER THE FIRST AMENDED CLASS ACTION COMPLAINT
(SECOND REQUEST)
BRENDA WEKSLER, UNITED STATES MAGISTRATE JUDGE
Pursuant to LR 7-1 and LR IA 6-1, Plaintiffs Everett Bloom, Jack Graham, and Dave Lindholm (collectively, “Plaintiffs”) and Defendants Zuffa, LLC, Endeavor Streaming, LLC, and Endeavor Group Holdings, Inc. (collectively, “Defendants”) (together, the “Parties”) hereby stipulate to extend the time in which Defendants may answer the First Amended Class Action Complaint (ECF No. 47). As noted below, this is the Parties' second stipulation regarding Defendants' time to answer or otherwise respond to the FAC.
WHEREAS, on May 29, 2023, Plaintiffs filed their First Amended Class Action Complaint (“FAC”) against Defendants (ECF No. 47);
WHEREAS, pursuant to the Parties' prior stipulation and the Court's order, Defendants' deadline to answer or otherwise respond to the FAC is June 28, 2023 (ECF No. 46);
WHEREAS, on June 28, 2023, Defendants intend to file a motion to dismiss the claims asserted against Endeavor Streaming, LLC and Endeavor Group Holdings, Inc. (but not Zuffa, LLC) in the FAC;
WHEREAS, the Parties have agreed that party and judicial efficiency would be best served by extending the deadline for all Defendants to file a consolidated answer to the FAC until after the Court's ruling on the anticipated motion to dismiss;
THEREFORE, the Parties hereby stipulate and agree as follows:
Defendants' deadline to answer the FAC shall be extended until 30 days after the Court's ruling on Defendants Endeavor Streaming, LLC and Endeavor Group Holdings, Inc.'s anticipated motion to dismiss the FAC, unless otherwise ordered by the Court.
ORDER
IT IS SO ORDERED