LJS&G, LTD. v. Z's et al
Filing
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ORDER Granting 22 Joint Motion to Dismiss Plaintiff LJS&G, LTD. Signed by Chief Judge Gloria M. Navarro on 8/28/2018. (Copies have been distributed pursuant to the NEF - MR)
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DAVID A. HUBBERT
Acting Assistant Attorney General
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VIRGINIA CRONAN LOWE
Trial Attorney, Tax Division
U.S. Department of Justice
P.O. Box 683
Ben Franklin Station
Washington, DC 20044-0683
Tel.: 202-307-6484
Fax: 202-307-0054
virginiacronan.lowe@usdoj.gov
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Of Counsel:
STEVEN W. MYHRE
Acting United States Attorney
Counsel for the United States
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF NEVADA
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LJS&G, LTD., a Nevada Corporation, d/b/a,
LEACH JOHNSON SONG & GRUCHOW,
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Plaintiff,
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v.
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Z’s, a Nevada Corporation; UNITED STATES )
OF AMERICA DEPARTMENT OF THE
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TREASURY – INTERNAL REVENUE
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SERVICE; LEASECOMM CORPORATION, )
a Massachusetts corporation; LAKE LAS
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VEGAS MASTER ASSOCIATION, a Nevada )
non-profit corporation; LAKE LAS VEGAS
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RESORT ASSOCIATION, a Nevada
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non-profit corporation; CITY OF
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HERDERSON, a municipal corporation;
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CLARK COUNTY, a political subdivision of )
the state of Nevdada; DOES I through X; and )
ROE CORPORATIONS XI through XX,
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inclusive,
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Defendants.
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_______________________________________)
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Civil No. 2:16-CV-01150-GMN-CWH
STIPULATION FOR DISMISSAL OF
PLAINTIFF
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Comes now the plaintiff LJS& G, LTD and defendant United States of America, by and
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through their undersigned attorneys, to hereby stipulate:
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1. The plaintiff filed a Complaint for Interpleader on January 15, 2016 in the District
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Court, Clark County, Nevada, and interpleaded funds with that Court. All of the defendants
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were served with a summons and copy of the Complaint for Interpleader. The United States
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removed this action to this Court on May 23, 2016.
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2. To date, the United States is the only defendant that has filed an answer and claim to
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the interpleaded funds. Defendants Clark County and City of Henderson have filed disclaimers
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of interest. See Doc. 9 and 14.
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3. The plaintiff LJS&G, LTD disclaims any interest in the interpleaded funds and
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requests that it be dismissed as a party to this action.
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WHEREFORE, the plaintiff and the United States stipulate and request that LJS&G,
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LTD be dismissed with prejudice as a party to this action.
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Respectfully submitted this 11th day of September, 2017
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DAVID A. HUBBERT
Acting Assistant Attorney General
LEACH JOHNSON SONG & GRUCHOW
/s/ Virginia Cronan Lowe
VIRGINIA CRONAN LOWE
Trial Attorney, Tax Division
U.S. Department of Justice
Of Counsel:
STEVEN W. MYHRE
Acting United States Attorney
Counsel for the United States
/s/ Kirby C. Gruchow, Jr.
KIRBY C. GRUCHOW, JR. (6663)
8945 West Russell Road, Suite 330
Las Vegas, NV89148
(209) 538-9074
IT IS SO ORDERED.
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DATED this ______ day of August, 2018.
_________________________________
Gloria M. Navarro, Chief Judge
United States Disitrct Court
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CERTIFICATE OF SERVICE
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IT IS HEREBY CERTIFIED that service of the foregoing has been made this 11th day of
September, 2017, by placing a true and correct copy in the United States Mail, first class postage
prepaid, addressed to the following:
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Leasecomm Corporation
2215 –B Renaissance Drive
Las Vegas, NV 89119
Lake Las Vegas Master Association
8485 West Sunset Road
Las Vegas, NV 89113
Las Vegas Resort Association
2030 Lake Las Vegas Parkway
Henderson, NV 89011
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And by ECF to:
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Kirby C. Gruchow, Esq.
LEACH JOHNSON SONG & GRUCHOW
8945 W. Russell Road, Suite 330
Las Vegas, NV 89148
Counsel for Plaintiff
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Shannon Wittenberger, Esq.
Deputy District Attorney
500 South Grand Central Pkwy, 5th Floor
Las Vegas, NV 89155-2215
Counsel for Clark County
Brandon P. Kemble, Esq.
Assistant City Attorney
240 Waer Street, MSC 144
Henderson, NV 89015
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/s/ Virginia Cronan Lowe
VIRGINIA CRONAN LOWE
Trial Attorney, Tax Division
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