Jonathan Browning, Inc. -v- Venetian Casino Resort, LLC

Filing 139

ORDER GRANTING 135 AND 134 Stipulation For Entry of Revised Schedule. Signed by Judge Jeffrey S. White on 3/23/09. (jjo, COURT STAFF) (Filed on 3/23/2009) Modified on 3/25/2009 (jjo, COURT STAFF).

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Case 3:07-cv-03983-JSW Document 134 Filed 03/20/2009 Page 1 of 3 1 Ray L. Wong (SBN 84193) DUANE MORRIS LLP 2 One Market, Spear Tower, Suite 2000 San Francisco, CA 94105-1104 3 Telephone: 415.957.3000 Facsimile: 415.957-3001 4 E-Mail: rlwong@duanemorris.com 5 Michelle Hon (SBN 234492) DUANE MORRIS LLP 6 101 West Broadway, Suite 900 San Diego, CA 92101 7 Telephone: 619.744.2200 Facsimile: 619.744.2201 8 E-Mail: mhon@duanemorris.com 9 Attorneys for Defendants VENETIAN CASINO RESORT, LLC; LAS VEGAS SANDS, LLC, and LAS 10 VEGAS SANDS CORP. 11 12 13 14 15 16 17 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF CALIFORNIA JONATHAN BROWNING, INC., Plaintiff, v. STIPULATION FOR ENTRY OF REVISED SCHEDULE AND ORDER THEREON CASE NO.: C 07-3983 JSW VENETIAN CASINO RESORT, LLC, LAS 18 VEGAS SANDS, LLC, LAS VEGAS SANDS CORP., and DOES 1 through 100, inclusive, 19 Defendant. 20 VENETIAN CASINO RESORT, LLC, LAS 21 VEGAS SANDS, LLC, LAS VEGAS SANDS CORP., 22 Third-Party Plaintiffs, 23 v. 24 KIRK NIX ASSOCIATES INC. D/B/A KNA 25 INTERIOR DESIGNS, a California corporation, 26 Third-Party Defendant. 27 28 STIPULATION FOR ENTRY OF REVISED SCHEDULE C 07-3983 JSW 1 DM1\1426821.1 Case 3:07-cv-03983-JSW Document 134 Filed 03/20/2009 Page 2 of 3 1 Pursuant to Local Rule 6-2(a), defendants VENETIAN CASINO RESORT, LLC, LAS 2 VEGAS SANDS, LLC, and LAS VEGAS SANDS CORP. (collectively "Defendants") and plaintiff 3 JONATHAN BROWNING, INC. ("Plaintiff"), hereby stipulate to and request the Court enter the 4 proposed Revised Schedule as set forth herein. 5 IT IS HEREBY STIPULATED, by the parties hereto, through their respective counsel, that 6 both Defendant and Plaintiff agree to a forty-five day extension of time for the deadlines listed 7 herein. The current deadlines for this case are as follows: 8 9 10 11 12 13 14 15 Completion of All Expert Discovery: Opposition to Motion to Strike Reply to Motion to Strike Hearing on Motion to Strike Hearing on Dispositive Motions: Pre-Trial Conference: Trial: April 10, 2009 March 20, 2009 March 27, 2009 May 8, 2009 May 29, 2009 August 3, 2009 August 24, 2009 These dates have previously be extended twice by the mutual agreement of the parties and 16 the approval of this Court. Good cause to extend these dates can be found on the grounds that this 17 short extension of time will allow the parties to attend mediation to resolve all claims. Mediation is 18 currently scheduled to take place on April 17, 2009 before a private mediator. All parties, including 19 the third-party defendant have agreed to attend private mediation in an effort to resolve all claims 20 between all parties. This extension will allow all the parties to focus their time, energy and 21 resources to resolving their disputes prior to completing expert discovery and preparing and filing 22 respective summary judgment motions. 23 Thus, the parties hereby stipulate to and request that the Court approve and enter the 24 following Revised Schedule: 25 26 27 28 Opposition to Motion to Strike Reply to Motion to Strike Hearing on Motion to Strike Completion of All Expert Discovery: 2 DM1\1426821.1 May 4, 2009 May 11, 2009 June 22, 2009 June 19, 2009 at 9:00 a.m. May 26, 2009 C 07-3983 JSW STIPULATION FOR ENTRY OF REVISED SCHEDULE Case 3:07-cv-03983-JSW Document 134 Filed 03/20/2009 Page 3 of 3 1 2 3 4 5 Hearing on Dispositive Motions: Pre-Trial Conference: Trial: SO STIPULATED. July 13, 2009 July 10, 2009 at 9:00 a.m. September 17, 2009 September 21, 2009 at 2:00 p.m. October 13, 2009 6 Dated: March 20, 2009 7 8 9 10 11 Dated: March 20, 2009 12 13 14 15 By: DUANE MORRIS LLP s/ Michelle A. Hon Ray L. Wong Michelle Hon Attorneys for Third-Party Plaintiffs VENETIAN CASINO RESORT, LLC, LAS VEGAS SANDS, LLC, and LAS VEGAS SANDS CORP. McNamer and Company By: __s/Anthony McNamer______________________ Anthony McNamer Attorneys for Plaintiff JONATHAN BROWNING INC. 16 PURSUANT TO STIPULATION, IT IS SO ORDERED 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION FOR ENTRY OF REVISED SCHEDULE C 07-3983 JSW 23 Dated: March __, 2009 _______________________ By: __ Hon. Jeffrey S. White District Court Judge 3 DM1\1426821.1

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