Nigrelli v. MGM Resorts International et al
Filing
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ORDER Granting 47 Stipulation And Order To Extend Time For Defendant Victoria Partners To File Its Reply in Support Of Its Motion For Summary Judgment. Second Request. Replies due by 8/10/2016. Signed by Chief Judge Gloria M. Navarro on 8/8/2016. (Copies have been distributed pursuant to the NEF - DL)
Case 2:15-cv-01840-GMN-NJK Document 47 Filed 08/05/16 Page 1 of 2
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Paul T. Trimmer, Bar No. 9291
trimmerp@jacksonlewis.com
Mahna Pourshaban, Bar No. 13743
mahna.pourshaban@jacksonlewis.com
JACKSON LEWIS P.C.
3800 Howard Hughes Parkway, Suite 600
Las Vegas, Nevada 89169
Tel: (702) 921-2460
Fax: (702) 921-2461
Attorneys for Defendant
Victoria Partners d/b/a
Monte Carlo Resort and Casino
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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LISA NIGRELLI, an individual,
Plaintiff,
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Case No. 2:15-cv-01840-GMN-NJK
v.
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VICTORIA PARTNERS, d/b/a MONTE
CARLO RESORT AND CASINO; and
CULINARY WORKERS UNION LOCAL
226; and DOES 1-50, inclusive,
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STIPULATION AND ORDER TO EXTEND
TIME FOR DEFENDANT VICTORIA
PARTNERS TO FILE ITS REPLY IN
SUPPORT OF ITS MOTION FOR
SUMMARY JUDGMENT
Defendants.
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(SECOND REQUEST)
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IT IS HEREBY STIPULATED by and between the parties, through their respective
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counsel, that Defendant Victoria Partners d/b/a Monte Carlo Resort and Casino (“Defendant”) shall
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have to and including Wednesday, August 10, 2016, in which to file its reply in support of its
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Motion for Summary Judgment. ECF No. 29. This stipulation is submitted and based on the
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following:
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1. That such an extension is necessary because on August 5, 2016 at 11:54 a.m., Plaintiff
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filed an Amended Declaration in Support of her Opposition to Defendant’s Motion for
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Summary Judgment ECF No. 45. As such, Defendant requires additional time for
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review and to adequately prepare a response.
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JACKSON LEWIS P.C.
LAS VEGAS
2. Additionally, such an extension is necessary because the undersigned defense counsel’s
Case 2:15-cv-01840-GMN-NJK Document 47 Filed 08/05/16 Page 2 of 2
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legal assistant recently passed away. As a result of the transition, defense counsel needs
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additional time to complete preparation of Defendant’s reply in support of its Motion
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for Summary Judgment.
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3. That this request for an extension of time is made in good faith and not for the purpose
of delay.
4. That this is the first request for an extension of time for Defendant to file its reply in
support of its Motion for Summary Judgment.
Dated this 5th day of August, 2016.
A.M. SANTOS LAW, CHTD.
JACKSON LEWIS P.C.
/s/ Anthony M. Santos
Anthony M. Santos
3275 S. Jones Blvd., Ste. 104
Las Vegas, Nevada 89146
/s/ Mahna Pourshaban
Paul T. Trimmer
Mahna Pourshaban
3800 Howard Hughes Parkway, Ste. 600
Las Vegas, Nevada 89169
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Attorney for Plaintiff
Lisa Nigrelli
Attorneys for Victoria Partners d/b/a
Monte Carlo Resort and Casino
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ORDER
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IT IS SO ORDERED.
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U.S. District Court Judge/Magistrate
Dated: August 8, 2016
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JACKSON LEWIS P.C.
LAS VEGAS
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