Opinion
2:23-cv-00384-JCM-EJY
08-23-2023
MCDONALD'S CORPORATION, Plaintiff, v. CIRCA HOSPITALITY GROUP II LLC D/B/A THE D LAS VEGAS, Defendant.
DICKENSON WRIGHT PLLC Cynthia L. Alexander, Esq. 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. MARK E. FERRARIO GREENBERG TRAURIG, LLP Attorneys for Plaintiff McDonald's Corporation
DICKENSON WRIGHT PLLC Cynthia L. Alexander, Esq. 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. MARK E. FERRARIO GREENBERG TRAURIG, LLP Attorneys for Plaintiff McDonald's Corporation
STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE
(SIXTH REQUEST)
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”) hereby stipulate and agree that McDonald's shall have an additional thirty (30) days from the current deadline of August 23, 2023, up to and including September 22, 2023, to respond to The D's Motion to Dismiss [ECF No. 22]. Parties further stipulate and agree that any reply in support of said Motion to Dismiss The D desires to file shall be due by September 29, 2023.
The Parties completed their meeting involving respective management on July 26, 2023 as previously reported, and are working diligently to memorialize their meeting discussions and an agreed-upon path forward in their continuing business relations. The Parties agree that an additional extension of the current deadlines associated with The D's Motion to Dismiss is necessary so they may continue to devote their focus towards resolving this case in lieu of continuing litigation. This is the parties' sixth request for an extension of this deadline, and is not submitted to cause any undue delay or prejudice.
IT IS SO ORDERED.