Vigdor et al v. Super Lucky Casino, Inc. et al
Filing
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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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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
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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
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Attorneys for Defendant SUPER LUCKY CASINO, INC.
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UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
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DAN VIGDOR, an individual;
STEPHEN BRADWAY, an individual,
Plaintiffs,
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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.
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STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION
DEADLINES
4842-0664-0972, V. 2
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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;
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WHEREAS, Plaintiffs Dan Vigdor and Stephen Bradway (“Plaintiffs”) and
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Defendant Super Lucky Casino, Inc. (“Defendant” and together with Plaintiffs,
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collectively referred to as the “Parties”) appeared before the Court for the Case
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Management Conference on August 1, 2017;
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WHEREAS, the Parties met and conferred following guidance from the Court
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and proposed a stipulation where that the last day to amend the pleadings shall be
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November 30, 2017 (Document Number 63);
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WHEREAS, on August 4, 2017 the Court entered the Parties’ stipulation and
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the last day to amend the pleadings was set at November 30, 2017 (Document
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Number 64);
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WHEREAS, Plaintiffs filed a Third Amended Complaint on August 18, 2017
(Document Number 70);
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WHEREAS, Plaintiffs wish to file a Fourth Amended Complaint;
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WHEREAS, Plaintiffs and Defendant previously agreed to extend the deadline
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for leave to amend the pleadings to December 30, 2017.
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WHEREAS, due to deposition scheduling in this case and the holidays, an
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additional two-week extension is requested to allow the Parties to amend the
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pleadings.
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WHEREAS, Plaintiffs requested, and Defendant agreed not to oppose
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Plaintiffs’ request for an extension of two weeks for the deadline for Plaintiffs to seek
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leave to amend their complaint;
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WHEREAS, the Parties elected, and on January 5, 2017, the Court ordered,
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that the Parties participate in mediation (private ADR) within 180 days of that order,
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creating an ADR deadline of July 5, 2017;
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STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION
DEADLINES
4842-0664-0972, V. 2
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WHEREAS, the Court entered the Parties’ stipulated case management order
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on August 4, 2017, setting a new ADR deadline of December 15, 2017 (Document
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Number 64);
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WHEREAS, Defendant requested, and Plaintiffs agreed not to oppose
Defendant’s request for a one-month extension of the ADR deadline;
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IT IS HEREBY AGREED AND STIPULATED BY THE PARTIES that the
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Parties request the Court continue the last day to amend the pleadings from
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December 30, 2017 to January 12, 2018 and the Court continue the ADR deadline
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from December 15, 2017 to January 31, 2018;
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Pursuant to Civil Local Rule 5-1(i)(3), the filer of this document attest that all
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signatories have concurred in its filing.
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IT IS SO STPULATED.
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AS STIPULATED BY:
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Dated: November 28, 2017
MICHELMAN & ROBINSON, LLP
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By: /s/ Marc Jacobs
Sanford L. Michelman
Marc R. Jacobs
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Attorneys for Plaintiffs
DAN VIGDOR and STEPHEN
BRADWAY
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Dated: November 28, 2017
KEKER, VAN NEST & PETERS LLP
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By: /s/ Benedict Y. Hur
Benedict Y. Hur
Julia L. Allen
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Attorneys for Defendant
SUPER LUCKY CASINO INC.
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STIPULATION AND ORDER TO CONTINUE AMENDED PLEADING AND MEDIATION
DEADLINES
4842-0664-0972, V. 2
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IT IS SO ORD
S
DERED.
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Nove
ember 28, 2017
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______
_________
_________
_________
__
Hon. H
Haywood S Gilliam, Jr.
S.
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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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