Opinion
2:20-cv-01516-CDS-NJK
11-21-2022
Victoria L. Neal JAMES P. KEMP, ESQ VICTORIA L. NEAL, ESQ.KEMP & KEMP Attorneys for Plaintiff SCOTT M. MAHONEY, ESQ.FISHER & PHILLIPS, LLP Attorneys for Defendants Station Casinos, LLC and NP Red Rock Casino LLC, d/b/a Red Rock Casino Resort and Spa
Victoria L. Neal JAMES P. KEMP, ESQ VICTORIA L. NEAL, ESQ.KEMP & KEMP Attorneys for Plaintiff
SCOTT M. MAHONEY, ESQ.FISHER & PHILLIPS, LLP Attorneys for Defendants Station Casinos, LLC and NP Red Rock Casino LLC, d/b/a Red Rock Casino Resort and Spa
STIPULATION AND ORDER TO EXTEND SUMMARY JUDGMENT BRIEFING SCHEDULE [SECOND REQUEST]
CRISTINA D. SILVA UNITED STATES DISTRICT JUDGE
Plaintiff ZEZY FARFAN and Defendant STATION CASINOS, LLC and NP RED ROCK, LLC, d/b/a RED ROCK CASINO, RESORT AND SPA, by and through their undersigned counsel, hereby submit this Stipulation and Order to Extend Summary Judgment Briefing Schedule. Defendant have filed a summary judgment motion. (ECF No. 38). The current deadline for Plaintiff to respond is November 22, 2022. The new requested date is Monday, January 9, 2023. This request is made in good faith, is not made to cause delay, is submitted pursuant to LR IA 6-1, LR IA 6-2, and LR 7-1, and is the parties' second request. As demonstrated below, good cause exists for the parties' request:
1. The need for the extension arises from the sudden and unexpected disability of Plaintiff's attorney Victoria L. Neal, Esq.
2. Ms. Neal has been incapacitated and is currently undergoing daily treatment and therapy and is scheduled for an invasive medical procedure on November 21, 2022. Currently she is on medical leave and only able to perform limited work duties a few hours per week. It is anticipated the procedure will allow her to increase her work capacity.
In consideration of the above, the parties submit that good cause exists to extend the deadline for Plaintiff to respond to Defendants' motion for summary judgment.
IT IS SO ORDERED.