Opinion
2:19-cv-01904-GMN-VCF
04-12-2022
JUDY DOE NO. 1, an individual; JUDY DOE C NO. 2, an individual; JUDY DOE NO. 3, an individual; JUDY DOE NO. 4, an individual; S JUDY DOE NO. 5, an individual; JUDY DOE O NO. 6, an individual; JUDY DOE NO. 7, an individual; JUDY DOE NO. 8, an individual; and JUDY DOE NO. 9 an individual, Plaintiffs, v. WYNN RESORTS, LIMITED, a Nevada corporation; WYNN LAS VEGAS, LLC, a Nevada limited-laiblity company; DOES I through X; and ROE CORPORATIONS I through X, inclusive, Defendants.
MAIER GUTIERREZ & ASSOCIATES, Jason R. Maier, Esq., Joseph A. Gutierrez, Esq., Danielle J. Barraza, Esq., GILBERT & ENGLAND LAW FIRM, Kathleen J. England, Esq. Attorneys for Plaintiffs JACKSON LEWIS P.C., Deverie J. Christensen, Esq., Joshua A. Sliker, Esq., Hilary A. Williams, Esq. Attorneys for Defendants
MAIER GUTIERREZ & ASSOCIATES, Jason R. Maier, Esq., Joseph A. Gutierrez, Esq., Danielle J. Barraza, Esq., GILBERT & ENGLAND LAW FIRM, Kathleen J. England, Esq. Attorneys for Plaintiffs
JACKSON LEWIS P.C., Deverie J. Christensen, Esq., Joshua A. Sliker, Esq., Hilary A. Williams, Esq. Attorneys for Defendants
STIPULATION AND REQUEST FOR ORDER EXTENDING TIME FOR: (1) PLAINTIFFS' TO FILE RESPONSES TO ECF NOS. 115, 118 AND 119; (2) DEFENDANT WYNN LAS VEGAS, LLC TO FILE ITS REPLY IN SUPPORT OF ECF NO. 115; (3) DEFENDANT WYNN RESORTS, LIMITED TO FILE ITS REPLY IN SUPPORT OF ECF NOS. 118 AND 119; AND (4) DEFENDANTS' TO FILE ITS RESPONSE TO ECF NO. 127 (SECOND REQUEST)
Gloria M. Navarro, District Judge 1
The nine JUDY DOE Plaintiffs Nos. 1-9 (collectively “Plaintiffs”), and Defendants Wynn Resorts, Limited and Wynn Las Vegas, LLC (“Defendants”), by and through their respective attorneys of record, do hereby stipulate and agree to extend the time for Plaintiffs to file their responses to the following motions up to and including April 15, 2022:
• Defendant Wynn Las Vegas, LLC's motion to dismiss Plaintiffs' second amended complaint [ECF NO. 115];
• Defendant Wynn Resorts, Limited's motion to dismiss Plaintiffs' second amended complaint [ECF No. 118], or in the alternative, joinder to defendant Wynn Las Vegas, LLC's motion to dismiss Plaintiffs' second amended complaint [ECF No. 119]
The current deadline to submit the responses to the above-referenced motions and alternative joinder is April 8, 2022. ECF No. 124. Plaintiffs have requested this extension of time to April 15, 2022 in light of additional time that is needed to respond to the motions, one of which [ECF No. 115] consists of 38 substantive pages and is accompanied by a separate motion for leave to file excess pages [ECF No. 114].
Additionally, the Parties also agree to extend the time for Defendant Wynn Las Vegas, LLC to file its reply in support of its motion to dismiss Plaintiffs' second amended complaint (ECF No. 115), and for Defendant Wynn Resorts, Limited, to file its reply in support of its motion to dismiss Plaintiffs' second amended complaint (ECF No. 118) and joinder (ECF No. 119) to May 6, 2022. Defendants' lead counsel will be out of the office and unavailable beginning April 12, 2022 for nearly two weeks, and the current anticipated deadline will leave inadequate time for Defendants to prepare their respective replies.
In addition, on April 4, 2022, Plaintiffs filed their Opening Supplemental Briefing in Support of their (1) Motion for Leave to Proceed Under Ficitious Names (ECF No. 20) and (2) Motion for Protective Order (ECF No. 21). ECF No. 127. Currently, Defendants' response briefs are due April 18, 2022. For the same aforementioned reasons, the Parties also agree to extend the time for Defendants to file their responsive briefs to May 6, 2022. 2
This stipulation is submitted in good faith and not for purposes of delay.
IT IS SO STIPULATED.
IT IS SO ORDERED.
IT IS FURTHER ORDERED that the Stipulations filed at ECF Nos. 129, 130, and131 are also GRANTED. 3