Opinion
2:20-cv-00001-APG-BNW
01-27-2022
FISHER &PHILLIPS LLP LISA A. MCCLANE, ESQ., Attorneys for Defendant Nevada Property 1, LLC, dba The Cosmopolitan of Las Vegas. LAW OFFICE OF ROBERT P. SPRETNAK, Robert Spretnak, Attorney for Plaintiff PATRICK HEEGEL.
FISHER &PHILLIPS LLP LISA A. MCCLANE, ESQ., Attorneys for Defendant Nevada Property 1, LLC, dba The Cosmopolitan of Las Vegas.
LAW OFFICE OF ROBERT P. SPRETNAK, Robert Spretnak, Attorney for Plaintiff PATRICK HEEGEL.
STIPULATION AND ORDER TO EXTEND DEADLINE TO FILE RESPONSE TO PLAINTIFF'S OPPOSITION TO DEFENDANT'S MOTION FOR SUMMARY JUDGMENT
(FIRST REQUEST)
Plaintiff Patrick Heegel (“Plaintiff”), through his counsel the Law Offices of Robert P. Spretnak, and Defendant Nevada Property 1, LLC doing business as The Cosmopolitan of Las Vegas (“Defendant”), through its counsel Fisher & Phillips LLP, hereby STIPULATE AND AGREE to extend the deadline for Defendant to file its points and authorities in response to Plaintiff's Opposition to Defendant Nevada Property 1, LLC's Motion for Summary Judgment (ECF (53) to February 21, 2022.
The current deadline to file a response to Plaintiff's Opposition to Defendant's Motion for Summary Judgment (ECF No. 53) is January 31, 2022. There is good cause for entering into this stipulation for additional time given staffing shortages caused by the surge in Covid-19, mandatory quarantines, and Defendant's counsel undergoing surgery.
This stipulation and order is sought in good faith and not for the purpose of delay.
ORDER
IT IS SO ORDERED.