Opinion
2:23-cv-00278-APG-VCF
10-19-2023
DELORES CHAPMAN, on behalf of herself and all others similarly situated, Plaintiff, v. LAS VEGAS ACES d/b/a and a/k/a LAS VEGAS BASKETBALL L.P.; MVP EVENT PRODUCTIONS LLC d/b/a and a/k/a MVP EVENT STAFFING; MANDALAY BAY, LLC; ARAMARK SPORTS AND ENTERTAINMENT GROUP, LLC; ARAMARK SPORTS AND ENTERTAINMENT SERVICES, LLC; ARAMARK SPORTS, LLC; ARAMARK SERVICES, INC.; GREG FIELDING; DOES 1 through 50, inclusive, Defendants.
Gabroy | Messer Kaine M. Messer The District at Green Valley Ranch Counsel for Plaintiff Lewis Brisbois Bisgaard & Smith LLP Jeffrey D. Winchester Counsel for the Aramark Entities and Mandalay Bay, LLC
Gabroy | Messer Kaine M. Messer The District at Green Valley Ranch Counsel for Plaintiff
Lewis Brisbois Bisgaard & Smith LLP Jeffrey D. Winchester Counsel for the Aramark Entities and Mandalay Bay, LLC
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO PLAINTIFF'S FIRST AMENDED CLASS ACTION COMPLAINT (FIRST REQUEST)
IT IS HEREBY STIPULATED AND AGREED by the parties' counsel of record that Defendants Aramark Sports and Entertainment Group, LLC, Aramark Sports and Entertainment Services, LLC, Aramark Sports, LLC, and Aramark Services, Inc. (collectively, the “Aramark Entities”) and Mandalay Bay, LLC will have up to and including November 16, 2023 to answer or otherwise respond to Plaintiff's First Amended Class Action Complaint (ECF No. 22) (“Amended Complaint”), which is currently due October 17, 2023. The parties agree that Aramark Entities and Mandalay Bay, LLC are not contesting service. In support of this request, the Aramark Entities and Mandalay Bay, LLC state that good cause exists for this extension because the additional time will permit the Aramark Entities and Mandalay Bay, LLC to appropriately investigate and prepare a response to Plaintiff's Amended Complaint. This is the Aramark Entities and Mandalay Bay, LLC's first request to extend the time to respond to Plaintiff's First Amended Complaint.
IT IS SO ORDERED.