Vigdor et al v. Super Lucky Casino, Inc. et al

Filing 77

ORDER by Judge Haywood S. Gilliam, Jr. Granting 76 Stipulation TO CONTINUE AMENDED PLEADING AND MEDIATION DEADLINES. Amended Pleadings due by 1/12/2018. (ndrS, COURT STAFF) (Filed on 11/28/2017)

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1 2 3 4 5 6 7 8 SANFORD L. MICHELMAN (SBN 179702) smichelman@mrllp.com MARC R. JACOBS (SBN 185924) mjacobs@mrllp.com ROBERT D. ESTRIN (SBN 260402) restrin@mrllp.com MICHELMAN & ROBINSON, LLP 10880 Wilshire Blvd., 19th Floor Los Angeles, CA 90024 Telephone: (310) 564-2670 Facsimile: (310) 564-2671 Attorneys for Plaintiffs DAN VIGDOR; STEPHEN BRADWAY 13 KEKER, VAN NEST & PETERS LLP BENEDICT Y. HUR - # 224018 bhur@keker.com JULIA ALLEN - # 286097 jallen@keker.com 633 Battery Street San Francisco, CA 94111-1809 Telephone: (415) 391-5400 Facsimile: (415) 397-7188 14 Attorneys for Defendant SUPER LUCKY CASINO, INC. 9 10 11 12 15 16 UNITED STATES DISTRICT COURT 17 FOR THE NORTHERN DISTRICT OF CALIFORNIA 18 19 20 DAN VIGDOR, an individual; STEPHEN BRADWAY, an individual, Plaintiffs, 21 22 23 24 25 26 v. SUPER LUCKY CASINO, INC., a California corporation (formerly known as 12 GIGS, INC.); DOES 1-50, inclusive, Case No.: 16-cv-05326-HSG [Hon. Haywood S. Gilliam, Presiding, Rm 10] STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION DEADLINES (Declaration of Robert Estrin filed concurrently herewith) Complaint Filed: September 16, 2016 Trial Date: September 17, 2018 Defendant. 27 28 1 STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION DEADLINES 4842-0664-0972, V. 2 1 2 3 4 The undersigned parties to this action, by and through their undersigned counsel, hereby agree and stipulate as follows: WHEREAS, the Court issued a June 23, 2017 Order Granting in Part Motion to Dismiss; 5 WHEREAS, Plaintiffs Dan Vigdor and Stephen Bradway (“Plaintiffs”) and 6 Defendant Super Lucky Casino, Inc. (“Defendant” and together with Plaintiffs, 7 collectively referred to as the “Parties”) appeared before the Court for the Case 8 Management Conference on August 1, 2017; 9 WHEREAS, the Parties met and conferred following guidance from the Court 10 and proposed a stipulation where that the last day to amend the pleadings shall be 11 November 30, 2017 (Document Number 63); 12 WHEREAS, on August 4, 2017 the Court entered the Parties’ stipulation and 13 the last day to amend the pleadings was set at November 30, 2017 (Document 14 Number 64); 15 16 WHEREAS, Plaintiffs filed a Third Amended Complaint on August 18, 2017 (Document Number 70); 17 WHEREAS, Plaintiffs wish to file a Fourth Amended Complaint; 18 WHEREAS, Plaintiffs and Defendant previously agreed to extend the deadline 19 for leave to amend the pleadings to December 30, 2017. 20 WHEREAS, due to deposition scheduling in this case and the holidays, an 21 additional two-week extension is requested to allow the Parties to amend the 22 pleadings. 23 WHEREAS, Plaintiffs requested, and Defendant agreed not to oppose 24 Plaintiffs’ request for an extension of two weeks for the deadline for Plaintiffs to seek 25 leave to amend their complaint; 26 WHEREAS, the Parties elected, and on January 5, 2017, the Court ordered, 27 that the Parties participate in mediation (private ADR) within 180 days of that order, 28 creating an ADR deadline of July 5, 2017; 2 STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION DEADLINES 4842-0664-0972, V. 2 1 WHEREAS, the Court entered the Parties’ stipulated case management order 2 on August 4, 2017, setting a new ADR deadline of December 15, 2017 (Document 3 Number 64); 4 5 WHEREAS, Defendant requested, and Plaintiffs agreed not to oppose Defendant’s request for a one-month extension of the ADR deadline; 6 IT IS HEREBY AGREED AND STIPULATED BY THE PARTIES that the 7 Parties request the Court continue the last day to amend the pleadings from 8 December 30, 2017 to January 12, 2018 and the Court continue the ADR deadline 9 from December 15, 2017 to January 31, 2018; 10 Pursuant to Civil Local Rule 5-1(i)(3), the filer of this document attest that all 11 signatories have concurred in its filing. 12 IT IS SO STPULATED. 13 AS STIPULATED BY: 14 Dated: November 28, 2017 MICHELMAN & ROBINSON, LLP 15 16 By: /s/ Marc Jacobs Sanford L. Michelman Marc R. Jacobs 17 18 Attorneys for Plaintiffs DAN VIGDOR and STEPHEN BRADWAY 19 20 21 22 Dated: November 28, 2017 KEKER, VAN NEST & PETERS LLP 23 24 By: /s/ Benedict Y. Hur Benedict Y. Hur Julia L. Allen 25 26 Attorneys for Defendant SUPER LUCKY CASINO INC. 27 28 3 STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION DEADLINES 4842-0664-0972, V. 2 1 IT IS SO ORD S DERED. 2 3 4 Nove ember 28, 2017 2 5 ______ _________ _________ _________ __ Hon. H Haywood S Gilliam, Jr. S. 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 4 STIPU ULATION AND ORDE TO CON A ER NTINUE A AMENDED P PLEADING AND MEDIATION G DEADLIN NES 4842-06 664-0972, V. 2

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