Tamares Las Vegas Properties, LLC et al v. Travelers Indemnity Company

Filing 54

ORDER Granting 53 Stipulation to Amend 52 Order to permit the parties to submit renewed briefs on truly unresolved discovery issues no later than 1/22/18. NO FURTHER EXTENSIONS WILL BE GRANTED. Signed by Magistrate Judge Nancy J. Koppe on 1/8/2018. (Copies have been distributed pursuant to the NEF - ADR)

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1 2 3 4 5 6 7 8 9 10 Amanda Peterson (pro hac vice) WEG & MYERS, P.C. 52 Duane Street, 2nd Floor New York, NY 10007 Telephone: (212) 227-4210 Facsimile: (212) 349-6702 Email: apeterson@wegandmyers.com and local counsel Shan Davis (SBN 9323) DAVIS|STIBOR 1180 N. Town Center Drive, Ste. 100 Las Vegas, NV 89144 Telephone: (702) 726-6885 Facsimile: (702) 933-1464 Email: shandavis@davisstibor.com Attorneys for Tamares Las Vegas Properties, LLC and Plaza Hotel & Casino, LLC 11 UNITED STATES DISTRICT COURT 12 DISTRICT OF NEVADA 13 14 15 TAMARES LAS VEGAS PROPERTIES, LLC; PLAZA HOTEL & CASINO, LLC; and T-UPR, LLC, Plaintiffs, 16 17 vs. 18 THE TRAVELERS INDEMNITY COMPANY, 19 Defendant. 20 Case No. 2:16-cv-02933-JAD-NJK STIPULATION AND ORDER TO AMEND THE COURT’S ORDERS DATED NOVEMBER 3, 2017 (ECF Doc. No. 35) , NOVEMBER 13, 2017 (ECF Doc. No. 48), DECEMBER 1, 2017 (ECF Doc. No. 50) and December 18, 2017 (ECF Doc. No. 52) Fourth Request 21 22 23 Plaintiffs Tamares Las Vegas Properties, LLC, Plaza Hotel & Casino, LL, and T-UPR, 24 LLC (collectively “Plaintiffs”) and Defendant The Travelers Indemnity Company (“Travelers”), 25 by and through their respective counsel of record, hereby stipulate and request as follows: 26 27 28 1. WHEREAS, this Court entered an Order dated November 3, 2017 (ECF Doc. No. 35) regarding various discovery motions that were filed by both the Plaintiffs’ and Defendant 1 (ECF Doc. Nos. 31-34) wherein, this Order required that the parties withdraw their respective 2 motions, meet and confer regarding discovery disputes and submit any renewed briefs regarding 3 4 5 6 7 8 9 10 11 truly unresolved issues no later than November 13, 2017; 2. WHEREAS, pursuant to this Court’s Order, the parties have withdrawn their respective motions and have engaged in meet and confer meetings as well as exchanged emails in an effort to resolve the active discovery disputes between the parties; 3. WHEREAS, on November 13, 2017, the parties submitted a stipulation and Order to requesting that the Court permit the parties to submit renewed briefs on truly unresolved discovery issues no later than December 4, 2017 which was subsequently Ordered by this Court (ECF Doc. No. 48); 12 13 14 4. WHEREAS, on December 1, 2017, the parties submitted a second stipulation and Order to requesting that the Court permit the parties to submit renewed briefs on truly unresolved 15 discovery issues no later than December 18, 2017 which was subsequently Ordered by this 16 Court (ECF Doc. No. 50); 17 18 5. WHEREAS, on December 15, 2017, the parties submitted a third stipulation and Order to requesting that the Court permit the parties to submit renewed briefs on truly unresolved 19 20 21 22 discovery issues no later than January 8, 2018 which was subsequently Ordered by this Court (ECF Doc. No. 52); 6. WHEREAS, the parties are still in the process of exchanging and reviewing the 23 supplemental discovery responses and document productions in order to continue to narrow and 24 resolve the discovery disputes between the parties; 25 26 27 28 7. WHEREAS, the parties’ require additional time to review supplemental discovery and potentially require additional meet and confer meetings prior to filing any renewed discovery motions; -2- 1 IT IS ORDERED, that the Court’s Order dated December 18, 2017 (ECF Doc. No. 52) is 2 amended to permit the parties to submit renewed briefs on truly unresolved discovery issues no 3 later than January 22, 2018. 4 5 Dated: January 5, 2018 Dated: January 5, 2018 6 DAVIS STIBOR FORAN GLENNON PALANDECH PONZI & RUDLOFF PC /s/Shan Davis____________________ Shan Davis, Esq. Nevada Bar No. 9323 1180 N. Town Center Drive, Suite 100 Las Vegas, Nevada 89144 _/s/Casey Perkins______________ Casey G. Perkins, Esq. Nevada Bar No. 12063 2200 Paseo Verde Pkwy, Suite 280 Henderson, NV 89052 Counsel for The Travelers Indemnity Company 7 8 9 10 11 12 WEG & MYERS, P.C. 16 /s/Amanda Peterson____________________ Dennis T. D’Antonio (admitted pro hac vice) Joshua L. Mallin (admitted pro hac vice) Amanda Peterson(admitted pro hac vice) WEG & MYERS, PC 52 Duane Street, 2nd Floor New York, NY 10007 17 Counsel for Plaintiffs 13 14 15 18 NO FURTHER EXTENSIONS WILL BE GRANTED. ORDER 19 20 21 IT IS SO ORDERED. 22 23 8th January DATED this _____ day of __________, 2018. 24 25 _______________________________________ 26 UNITED STATES MAGISTRATE JUDGE 27 28 -3-

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