Landry's Inc. et al v. Brian Sandoval, et al
Filing
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ORDER Granting 62 Stipulation re 55 MOTION to Dismiss. Responses due by 7/1/2016. Signed by Chief Judge Gloria M. Navarro on 6/16/16. (Copies have been distributed pursuant to the NEF - TR)
Case 2:15-cv-01160-GMN-PAL Document 62 Filed 06/13/16 Page 1 of 2
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Elayna J. Youchah, Bar # 5837
youchahe@jacksonlewis.com
Phillip C. Thompson, Bar # 12114
phillip.thompson@jacksonlewis.com
JACKSON LEWIS P.C.
3800 Howard Hughes Parkway, Suite 600
Las Vegas, Nevada 89169
Tel: (702) 921-2460
Fax: (702) 921-2461
René E. Thorne, LA Bar No.22875
Admitted Pro Hac Vice
thorner@jacksonlewis.com
JACKSON LEWIS P.C.
650 Poydras Street, Suite 1900
New Orleans, Louisiana 70130
Tel: (504) 208-1755
Fax: (504) 208-1759
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Attorneys for Plaintiffs
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
LANDRY’S, INC., a Delaware corporation;
CLAIM JUMPER ACQUISITION
COMPANY, LLC, a Nevada limited liability
company; BUBBA GUMP SHRIMP CO.
RESTAURANTS, INC., a Delaware
corporation,
Plaintiffs,
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v.
BRIAN SANDOVAL, in his official capacity as
Governor of the State of Nevada; SHANNON
CHAMBERS, in her official capacity as Labor
Commissioner of the State of Nevada, AMY L.
PARKS, in her official capacity as Acting
Insurance Commissioner of the State of Nevada,
Case No. 2:15-cv-01160-GMN-PAL
STIPULATION AND ORDER TO
EXTEND TIME FOR PLAINTIFFS
TO FILE THEIR OPPOSITION TO
DEFENDANT BARBARA
RICHARDSON’S MOTION TO
DISMISS SECOND AMENDED
COMPLAINT AND JOINDER TO
BRIAN SANDOVAL AND
SHANNON CHAMBERS’ MOTION
TO DISMISS
(First Request)
Defendants.
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JACKSON LEWIS P.C.
LAS VEGAS
Plaintiffs Landry’s, Inc., Bubba Gump Restaurants, Inc., and Claim Jumper Acquisition
Company, LLC (collectively, “Plaintiffs”), by and through their counsel of record, Jackson Lewis
P.C., and Defendant Barbara Richardson, by and through her counsel of record, Office of the
Case 2:15-cv-01160-GMN-PAL Document 62 Filed 06/13/16 Page 2 of 2
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Attorney General, hereby stipulate and agree to extend the time for Plaintiffs to file their opposition
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to Defendant Barbara Richardson’s Motion to Dismiss Second Amended Complaint and Joinder to
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Brian Sandoval and Shannon Chambers’ Motion to Dismiss (“Motion to Dismiss”).
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Specifically, the parties stipulate and agree that Plaintiffs shall have through and including
July 1, 2016 to file their Opposition to the Motion to Dismiss.
This stipulation and order is sought in good faith and not for the purpose of delay. No prior
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request for any extension of time has been made.
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Dated this 13th day of June, 2016.
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OFFICE OF THE ATTORNEY GENERAL
JACKSON LEWIS P.C.
/s/ Joanna N. Grigoriev
Joanna N. Grigoriev, Bar # 5649
Senior Deputy Attorney General
555 E. Washington Ave., Ste. 3900
Las Vegas, Nevada 89101
/s/ Phillip C. Thompson
Elayna J. Youchah, Bar # 5837
Phillip C. Thompson, Bar # 12114
3800 Howard Hughes Parkway, Ste. 600
Las Vegas, Nevada 89169
Attorneys for Defendant
Barbara Richardson
Attorneys for Plaintiffs
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ORDER
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IT IS SO ORDERED
June 16
, 2016.
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U.S. District Judge
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JACKSON LEWIS P.C.
LAS VEGAS
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