Opinion
2:19-cv-01904-GMN-VCF
04-28-2022
JUDY DOE NO. 1, an individual; JUDY DOE NO. 2, an individual; JUDY DOE NO. 3, an individual; JUDY DOE NO. 4, an individual; JUDY DOE NO. 5, an individual; JUDY DOE 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, ability company; DOES I through X; and ROE CORPORATIONS I through X, inclusive, Defendants
DEVERIE J. CHRISTENSEN, ESQ., Nevada Bar No. 6596, JOSHUA A. SLIKER, ESQ., Nevada Bar No. 12493, JACKSON LEWIS P.C., Attorneys for Defendants Wynn Resorts, Limited and Wynn Las Vegas, LLC. MAIER GUTIERREZ & ASSOCIATES, Danielle J. Barraza, JASON R. MAIER, ESQ. Nevada Bar No. 8557 JOSEPH A. GUTIERREZ, ESQ. Nevada Bar No. 9046 DANIELLE J. BARRAZA, ESQ. Nevada Bar No. 13822 8816 Spanish Ridge Avenue Las Vegas, Nevada 89148 KATHLEEN J. ENGLAND, ESQ. Nevada Bar No. 206 GILBERT & ENGLAND LAW FIRM, Attorneys for Plaintiffs.
DEVERIE J. CHRISTENSEN, ESQ., Nevada Bar No. 6596, JOSHUA A. SLIKER, ESQ., Nevada Bar No. 12493, JACKSON LEWIS P.C., Attorneys for Defendants Wynn Resorts, Limited and Wynn Las Vegas, LLC.
MAIER GUTIERREZ & ASSOCIATES, Danielle J. Barraza, JASON R. MAIER, ESQ. Nevada Bar No. 8557 JOSEPH A. GUTIERREZ, ESQ. Nevada Bar No. 9046 DANIELLE J. BARRAZA, ESQ. Nevada Bar No. 13822 8816 Spanish Ridge Avenue Las Vegas, Nevada 89148 KATHLEEN J. ENGLAND, ESQ. Nevada Bar No. 206 GILBERT & ENGLAND LAW FIRM, Attorneys for Plaintiffs.
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS TO FILE REPLY IN SUPPORT OF THEIR MOTION TO STAY DISCOVERY (FIRST REQUEST)
IT IS HEREBY STIPULATED by and between Plaintiffs, by and through their counsel Maier Gutierrez & Associates and Gilbert & England Law Firm, and Defendants Wynn Resorts, Limited and Wynn Las Vegas, LLC, by and through its counsel Jackson Lewis P.C., that Defendants shall have an extension up to and including May 6, 2022, in which to file their reply in support of their Motion to Stay Discovery (ECF No. 120). This Stipulation is submitted and based upon the following:
1. Plaintiffs filed their Second Amended Complaint on February 2, 2022. ECF No. 106.
2. On March 9, 2022, Defendants each filed motions to dismiss Plaintiffs' Second Amended Complaint. ECF Nos. 115 and 118.
3. On March 11, 2022, Defendants filed a motion to stay discovery pending decision of their respective motions to dismiss. ECF No. 120.
4. On March 25, 2022, the Parties stipulated to extend the time for Plaintiffs to file their response to Defendants' Motion to Stay to April 13, 2022. ECF Nos. 125 (Stipulation) and 126 (Order).
5. On April 12, 2022, the Parties stipulated a second time to extend the time for Plaintiffs to file their response to Defendants' Motion to Stay to April 20, 2022. ECF Nos. 132 (Stipulation) and 133 (Order).
6. Defendants' reply in support of their motion to stay discovery is currently due on April 27, 2022. Due to the obligations of Defendants' counsel in other matters and the need for additional time to prepare Defendants' reply, the Parties have agreed to extend the time for Defendants to file their reply in support of their motion to stay discovery up to and including May 6, 2022.
7. This is the first request for an extension of time for Defendants to file their reply in support of their motion to stay discovery.
8. This request is made in good faith and not for the purpose of delay.
9. Nothing in this Stipulation, nor the fact of entering to the same, shall have the effect of or be construed as waiving any claim or defense held by any party hereto.
ORDER
IT IS SO ORDERED: