Wynn et al v. Chanos

Filing 49

STIPULATION AND ORDER CONTINUING THE CASE MANAGEMENT CONFERENCE re 45 STIPULATION - Case Management Conference continued to 3/24/2015 02:00 PM in Courtroom 2, 17th Floor, San Francisco. Case Management Statement due by 3/17/2015. Signed by Judge William H. Orrick on 01/09/2015. (jmdS, COURT STAFF) (Filed on 1/9/2015)

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1 2 3 4 5 6 7 8 9 10 11 12 ARNOLD & PORTER LLP KENNETH G. HAUSMAN (No. 57252) kenneth.hausman@aporter.com DOUGLAS A. WINTHROP (No. 183532) douglas.winthrop@aporter.com JULIAN Y. WALDO (No. 277783) julian.waldo@aporter.com Three Embarcadero Center, 10th Floor San Francisco, CA 94111-4024 Telephone: 415.471.3100 Facsimile: 415.471.3400 BOSTWICK LAW GARY L. BOSTWICK (No. 79000) gbostwick@B1law.com 12400 Wilshire Blvd., Suite 400 Los Angeles, CA 90025 Telephone: 310.979.6059 Facsimile: 424.228.5975 Attorneys for Defendant JAMES CHANOS 13 UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA 15 SAN FRANCISCO DIVISION 16 17 18 STEPHEN WYNN and WYNN RESORTS LIMITED, Plaintiffs, 19 20 21 22 v. Case No.: CV 14-4329 WHO STIPULATION AND ORDER CONTINUING THE CASE MANAGEMENT CONFERENCE Complaint Filed: September 25, 2014 JAMES CHANOS, Defendant. 23 24 25 26 27 28 STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE Case No.: CV 14-4329 WHO 1 2 3 The parties to the above-entitled action, by and between their counsel of record, stipulate as follows: 1. Plaintiffs Stephen Wynn and Wynn Resorts Limited filed this case on September 25, 4 2014, stating a single claim for slander per se. On October 20, 2014, Defendant James Chanos filed 5 a special motion to strike and a motion to dismiss. 6 2. On December 16, 2014, the Court granted Mr. Chanos’s motion to dismiss and 7 denied Mr. Chanos’s special motion to strike without prejudice. The Court ordered that if Plaintiffs 8 wish to amend their Complaint, they must do so by January 13, 2015. 9 3. The initial case management conference is currently set for January 13, 2015. 10 4. Given that there is currently no operative pleading in this case, the parties stipulate to 11 continue the initial case management conference from January 13, 2015, to March 17, 2015 at 2:00 12 P.M. in Courtroom 2, 17th Floor, 450 Golden Gate Avenue, San Francisco, CA 94102. 13 Dated: January 5, 2015 BROWNSTEIN HYATT FARBER SCHRECK, LLP BARRY B. LANGBERG 14 15 16 By: /s/ Mitchell J. Langberg MITCHELL J. LANGBERG Attorneys for Plaintiffs, STEPHEN WYNN and WYNN RESORTS LIMITED 17 18 19 20 21 22 23 24 25 26 Respectfully, Dated: January 5, 2015 ARNOLD & PORTER LLP KENNETH G. HAUSMAN By: /s/ Kenneth G. Hausman _________ KENNETH G. HAUSMAN Attorneys for Defendant JAMES CHANOS ATTESTATION Pursuant to Local Rule 5-1, I, Kenneth G. Hausman, attest that all signatories listed, and on whose behalf the filing is submitted, concur in the filing’s consent and have authorized the filing. 27 /s/ Kenneth G. Hausman KENNETH G. HAUSMAN 28 -1- STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE Case No.: CV 14-4329 WHO 1 2 3 4 5 6 7 ORDER PURSUANT TO STIPULATION, IT IS SO ORDERED, as modified below: 1. The Case Management Conference scheduled for January 13, 2015 is continued until March 24, 2015. In the event that there is a pending motion to dismiss scheduled to be heard after March 24, 2015, the parties may stipulate to continuing the Case Management Conference again to the date of the hearing on the motion to dismiss. 8 9 Dated: January 9, 2015 WILLIAM H. ORRICK United States District Judge 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -2- STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE Case No.: CV 14-4329 WHO

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