Parr v. Eldorado Resorts Corporation et al

Filing 55

ORDER Granting 54 Stipulation to Extend Time to File Dispositive Motions and Responses and Replies thereto. See Order for deadlines. Signed by Judge Richard F. Boulware, II on 4/11/17. (Copies have been distributed pursuant to the NEF - ADR)

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Case 2:15-cv-01028-RFB-PAL Document 54 Filed 04/10/17 Page 1 of 5 1 2 3 4 5 6 7 8 Attorneys for Defendants Eldorado Resorts Corporation and Michael Marrs 10 UNITED STATES DISTRICT COURT 11 Wells Fargo Tower Suite 1500, 3800 Howard Hughes Parkway Las Vegas, NV 89169 Telephone: 702.369.6800 Ogletree, Deakins, Nash, Smoak & Stewart, P.C. 9 ANTHONY L. MARTIN, ESQ. Nevada Bar No. 8177 anthony.martin@ogletreedeakins.com JILL GARCIA, ESQ. Nevada Bar No. 7805 jill.garcia@ogletreedeakins.com OGLETREE, DEAKINS, NASH, SMOAK & STEWART, P.C. Wells Fargo Tower Suite 1500 3800 Howard Hughes Parkway Las Vegas, NV 89169 Telephone: 702.369.6800 Fax: 702.369.6888 FOR THE DISTRICT OF NEVADA 12 13 DON PARR, Case No.: 2:15-cv-01028-RFB-PAL Plaintiff, 14 15 vs. 16 ELDORADO RESORTS CORPORATION, a Florida corporation; MICHAEL MARRS; BRUCE POLANSKY; KRISTEN BECK; DOMINIC TALEGHANI; JAMES GRIMES; AND DOES 1-50, inclusive; 17 18 STIPULATION AND ORDER TO EXTEND TIME TO FILE DISPOSITIVE MOTIONS AND RESPONSES AND REPLIES THERETO (SECOND REQUEST) 19 Defendants. 20 21 Pursuant to LR IA 6-1, LR IA 6-2, LR 7-1 and LR 26-4, Plaintiff Don Parr (“Plaintiff”) and 22 Defendants Eldorado Resorts Corporation and Michael Marrs (collectively “Defendants”), by and 23 through their undersigned counsel, hereby stipulate and agree to this second request for extension 24 of time for the parties to file a response and reply to the previously filed Dispositive Motion (ECF 25 No. 50). Pursuant to the Stipulation and Order to Extend Time to File Dispositive Motions, and 26 Responses thereto (First Request) (ECF No. 49), Defendants filed the Dispositive Motion in this 27 28 Case 2:15-cv-01028-RFB-PAL Document 54 Filed 04/10/17 Page 2 of 5 1 2 case on February 27, 2017 (ECF No. 60). The parties have completed all discovery in this matter, and good cause exists for the proposed extension based upon the following: 3 As the Court is aware, this case is one of over thirty related lawsuits sitting before this 4 Court. Recognizing the complexity of litigating these lawsuits simultaneously, the parties agreed 5 6 to divide the cases into five groups and stagger deadlines in order to streamline the litigation process and avoid overlapping dispositive motion deadlines. On December 28, 2016, the parties 7 8 10 cases. (ECF No. 49.) The current status of the comprehensive briefing schedule is as follows: Group III(A) 11 Wells Fargo Tower Suite 1500, 3800 Howard Hughes Parkway Las Vegas, NV 89169 Telephone: 702.369.6800 Ogletree, Deakins, Nash, Smoak & Stewart, P.C. 9 agreed to a comprehensive briefing schedule for dispositive motions in the remaining groups of  Defendants shall file dispositive motions by February 27, 2017. 12  Plaintiffs shall file oppositions by March 29, 2017.  Defendants shall file replies by April 28, 2017. 13 14 15 Group III(B) 16  Defendants shall file dispositive motions by March 23, 2017. 17  Plaintiffs shall file oppositions by April 24, 2017. 18  Defendants shall file replies by May 24, 2017. 19 Group IV(A) 20  Defendants shall file dispositive motions by April 13, 2017. 22  Plaintiffs shall file oppositions by May 12, 2017. 23  Defendants shall file replies by June 13, 2017. 21 24 25 26 27 28 Group IV(B)  Defendants shall file dispositive motions by June 6, 2017.  Plaintiffs shall file oppositions by July 6, 2017.  Defendants shall file replies by August 7, 2017. 2 Case 2:15-cv-01028-RFB-PAL Document 54 Filed 04/10/17 Page 3 of 5 Group V 1 2  Defendants shall file dispositive motions by June 22, 2017. 3  Plaintiffs shall file oppositions by July 24, 2017. 4  Defendants shall file replies by August 23, 2017. 5 In compliance with that stipulation, Defendants filed Motions for Summary Judgment on 6 February 27, 2017, in Barnes v. Eldorado Resorts Corp., Case No.: 2:15-cv-01026-RFB-PAL 7 8 57); D. Parr v. Eldorado Resorts Corp., Case No.: 2:15-cv-01028-RFB-PAL (ECF No. 50); and 10 Scheinberg v. Eldorado Resorts Corp., Case No.: 11 Wells Fargo Tower Suite 1500, 3800 Howard Hughes Parkway Las Vegas, NV 89169 Telephone: 702.369.6800 Ogletree, Deakins, Nash, Smoak & Stewart, P.C. 9 (ECF No. 60); Kaplan v. Eldorado Resorts Corp., Case No.: 2:15-cv-01015-RFB-PAL (ECF No. Unilaterally and without notice to defense counsel, on the day before oppositions were due, 12 2:15-cv-01031-RFB-PAL (ECF No. 63). Plaintiffs filed a request for an extension to file oppositions to the Motions for Summary Judgment 13 on March 28, 2017, in the foregoing cases: Barnes v. Eldorado Resorts Corp., Case No.: 2:15-cv14 15 01026-RFB-PAL (ECF No. 63); Kaplan v. Eldorado Resorts Corp., Case No.: 2:15-cv-01015- 16 RFB-PAL (ECF No. 60); D. Parr v. Eldorado Resorts Corp., Case No.: 2:15-cv-01028-RFB-PAL 17 (ECF No. 53); and Scheinberg v. Eldorado Resorts Corp., Case No.: 2:15-cv-01031-RFB-PAL 18 (ECF No. 66), seeking to extend the current filing date of March 29, 2017, to April 12, 2017. This 19 request remains pending before the Court. Due to this delay, the entire comprehensive briefing 20 schedule has been impacted, causing overlapping and unreasonable deadlines. The delays will 21 22 make it difficult to comply with the current briefing schedules for the remaining matters. 23 Accordingly, the parties hereby stipulate to adjust the briefing schedule in the manner 24 presented below in an effort to allow the parties to comply with the briefing schedule in a 25 reasonable manner as follows: 26 ... 27 ... 28 3 Case 2:15-cv-01028-RFB-PAL Document 54 Filed 04/10/17 Page 4 of 5 Group III(A) 1 2  Plaintiffs shall file oppositions by April 12, 2017. 3  Defendants shall file replies by May 12, 2017. 4 Group III(B) 5   6 7 Plaintiffs shall file oppositions by May 8, 2017. Defendants shall file replies by June 7, 2017. Group IV(A) 8  Defendants shall file dispositive motions by May 31, 2017. 10  Plaintiffs shall file oppositions by June 30, 2017. 11 Wells Fargo Tower Suite 1500, 3800 Howard Hughes Parkway Las Vegas, NV 89169 Telephone: 702.369.6800 Ogletree, Deakins, Nash, Smoak & Stewart, P.C. 9  Defendants shall file replies by July 31, 2017. 12 Group IV(B) 13  Defendants shall file dispositive motions by June 21, 2017. 15  Plaintiffs shall file oppositions by July 21, 2017. 16  Defendants shall file replies by August 21, 2017. 14 17 Group V 18  Defendants shall file dispositive motions by August 30, 2017.  Plaintiffs shall file oppositions by September 29, 2017.  Defendants shall file replies by October 30, 2017. 19 20 21 22 23 As relevant to this matter, the parties have agreed that the dispositive motion deadlines should be extended as follows: 24  Plaintiff shall file any response to Defendants’ dispositive motion no later than 25 April 12, 2017; 26  27 28 Defendants shall file their reply no later than May 12, 2017. ... 4 Case 2:15-cv-01028-RFB-PAL Document 54 Filed 04/10/17 Page 5 of 5 1 This stipulation is not brought for purposes of delay or any other improper purpose. 2 Dated this 10th day of April, 2017. 3 WATKINS & LETOFSKY, LLP OGLETREE, DEAKINS, NASH, SMOAK & STEWART, P.C. /s/ Daniel R. Watkins Daniel R. Watkins Brian S. Letofsky 8215 South Eastern Ave Suite 265 Las Vegas, NV 89123 Telephone: 702-487-7574 Attorneys for Plaintiff Don Parr /s/ Jill Garcia Anthony L. Martin Jill Garcia 3800 Howard Hughes Parkway Suite 1500 Las Vegas, NV 89169 Telephone: 702-369-6800 Attorneys for Defendants Eldorado Resorts Corporation, and Michael Marrs 4 5 6 7 8 10 ORDER 11 Wells Fargo Tower Suite 1500, 3800 Howard Hughes Parkway Las Vegas, NV 89169 Telephone: 702.369.6800 Ogletree, Deakins, Nash, Smoak & Stewart, P.C. 9 12 13 14 15 IT IS SO ORDERED. UNITED STATES DISTRICT JUDGE April 11, 2017 DATED 16 17 18 19 20 21 22 23 24 25 26 27 28 5

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