Hutchinson v. Global Experience Specialists Inc

Filing 20

ORDER granting 19 Stipulation; Discovery due by 2/16/2018. Motions due by 3/19/2018. Proposed Joint Pretrial Order due by 4/18/2018. Signed by Magistrate Judge George Foley, Jr on 11/20/2017. (Copies have been distributed pursuant to the NEF - JM)

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Case 2:16-cv-02397-GMN-GWF Document 19 Filed 11/17/17 Page 1 of 3 1 2 3 4 5 6 FISHER &PHILLIPS LLP SCOTT M. MAHONEY,ESQ. Nevada Bar No. 1099 300 S. Fourth Street Suite 1500 I Las Vegas, NV 89101 'Telephone: (702)252-3131 E-Mail Address: smahonev~~isherphillips.com Attorney for Defendant, Global Experience Specialists, Inc. 7 UNITED STATES DISTRICT COURT s DISTRICT OF NEVADA 9 STEPHANIE HUTCHINSON,an individual;) Case No. 2:16-cv-2397-GMN-GWF 10 Plaintiff, 11 v. ~~ ~ o 12 ~ ~o .~ ~ GLOBAL EXPERIENCE SPECIALISTS, INC.; EMPLOYEES)/AGENT(S)DOES 110; and ROE CORPORATIONS 11-20, inclusive; 13 ~~ 14 ~, ~ z ~ w> ) STIPULATION AND ORDER TO EXTEND SCHEDULING ORDER DEADLINES (Fourth Request) is Defendants 16 ~ ~ oa ~ 17 The parties, by and through their respective counsel, hereby stipulate to extend 18 the Scheduling Order deadlines in this case as follows: 19 Discovery Deadline February 16, 2018 Dispositive Motion Deadline Maxch 19, 2018 Joint Pretrial Order April 18, 2018 or 30 days from the ruling on a dispositive motion 20 21 22 23 This is the fourth request for an extension of these deadlines. The parties 24 25 provide the following information to the Court regarding the proposed extension of the 26 discovery deadline. 27 /// 28 I /// 32623336 -1- Case 2:16-cv-02397-GMN-GWF Document 19 Filed 11/17/17 Page 2 of 3 1 Discovery Completed To Date 2 3 The parties have served their Initial Disclosures and supplements thereto. Various documents have been subpoenaed. Defendants have served interrogatories and 4 requests for production, and Plaintiff has responded. Plaintiff has served 5 interrogatories, requests for admissions and requests for production and Defendant has 6 7 responded. Plaintiff and four current employees of Defendant have been deposed. Remaining Discovery To Be Completed 8 9 to The depositions ofPat James and Sheila Glenn, and potentially other depositions and written discovery. 11 Reasons Discovery Could Not Be Completed Within The Existing Deadline ~l 0 ~~~ 12 °~~' ~ •~ ~ ~ ~ 13 Perhaps the most important defense witness in this case, Patricia James, retired 14 ~~z ~~ ~ from GES and is believed to reside in St. Lucia. Ms. James has recently returned to Las 15 Vegas for a period of time, and will now be available for a deposition in the coming 16 weeks at amutually-convenient time. Sheila Glenn was scheduled for a deposition on 17 November 15, 2017, but the deposition had to be postponed because Ms. Glenn was ~ on ~ w> oa ~ ~ 18 called for jury duty that week. 19 20 21 22 23 24 25 26 27 28 32623336 -2— Case 2:16-cv-02397-GMN-GWF Document 19 Filed 11/17/17 Page 3 of 3 1 Proposed Datesfor Completion ofDiscovery The parties believe they. will be.able.to complete.discovery.by the proposed new 2 3 4 date of February 16, 2018. GABROY LAW OFFICES FISHER &PHILLIPS 5 By: 6 7 8 ~✓ By: /s/ Christian Gabroy, Esq. The District at Green Valley Ranch 170 South Green Valley Parkway Suite 280 Henderson, NV 89012 Attorney for Plaintiff Sco t M. Mahoney, Esq. 300 S. Fourth Street Suite 1500 Las Vegas. NV 89101 Attorney for Defendant 9 10 IT IS SO ORDERED: 11 0 12 UNITED STATES MAGISTRATE JUDGE o ~ °~ a~ 13 Dated: 11/20/2017 ~~~ ~~ 14 ~~z ~~~ is ~ w> ~ ~ 16 ~~ 17 oa 18 19 20 21 22 23 24 25 26 27 28 32623336 -3-

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