Opinion
2:23-cv-00384-JCM-EJY
07-24-2023
MCDONALD'S CORPORATION, Plaintiff, v. CIRCA HOSPITALITY GROUP II LLC D/B/A THE D LAS VEGAS, Defendant.
WRIGHT, FINLAY & ZAK, LLP, Christina V. Miller, Esq., Nevada Bar No. 12448, Yanxiong Li, Esq., Nevada Bar No. 12807, MARK E. FERRARIO, Nevada Bar No. 1625, ALAYNE OPIE, Nevada Bar No. 12623, KYLE EWING, Nevada Bar No. 14051, GREENBERG TRAURIG, LLP, Attorneys for Plaintiff, McDonald's Corporation. DICKENSON WRIGHT PLLC, Cynthia L. Alexander, Esq. Nevada Bar No. 6718 Kerry E. Kleiman, Esq., Attorneys for Defendant, Circa Hospitality Group II LLC d/b/a The D Las Vegas.
WRIGHT, FINLAY & ZAK, LLP, Christina V. Miller, Esq., Nevada Bar No. 12448, Yanxiong Li, Esq., Nevada Bar No. 12807, MARK E. FERRARIO, Nevada Bar No. 1625, ALAYNE OPIE, Nevada Bar No. 12623, KYLE EWING, Nevada Bar No. 14051, GREENBERG TRAURIG, LLP, Attorneys for Plaintiff, McDonald's Corporation.
DICKENSON WRIGHT PLLC, Cynthia L. Alexander, Esq. Nevada Bar No. 6718 Kerry E. Kleiman, Esq., Attorneys for Defendant, Circa Hospitality Group II LLC d/b/a The D Las Vegas.
STIPULATION AND ORDER TO EXTEND DEADLINE FOR SUBMITTING DISCOVERY PLAN/SCHEDULING ORDER
Plaintiff, McDonald's Corporation (“McDonald's”) and Defendant Circa Hospitality Group II LLC d/b/a The D Las Vegas (“The D” and together with McDonald's, hereafter as the “Parties”), by and through their undersigned counsels of record, jointly submit this stipulation:
WHEREAS:
1. On March 17, 2023, McDonald's filed its operative pleading, the Amended Complaint [ECF No. 8];
2. On March 27, 2023, The D filed its Motion to Dismiss Plaintiff's Amended Complaint [ECF No. 22];
3. Deadline for the Parties to submit their proposed Discovery Plan/Scheduling Order was previously extended from June 26, 2023 to July 26, 2023 [ECF No. 40];
4. As previously reported, the Parties have agreed to a meeting involving their respective management to finalize settlement discussion initiated through multiple correspondences detailing circumstances surrounding the alleged defaults, related investigations, remedial measures taken and proposing a path forward in their continuing business relations. The Parties have worked diligently to coordinate the availability of the prospective attendees, and have agreed to set July 26, 2023 as the meeting date.
NOW THEREFORE, the parties stipulate and agree that the current deadline of July 26, 2023 shall be extended up to and including August 25, 2023 for the parties to submit a Discovery Plan/Scheduling Order. This is the parties' fourth request for an extension of this deadline, and is not submitted to cause any undue delay or prejudice.
IT IS SO STIPULATED.
IT IS SO ORDERED.