JusTours, Inc. et al v. Bogenius Group, LLC et al
Filing
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ORDER Granting 11 Stipulation to Extend Time to Hold FED. R. CIV. P. 26(f) Conference and Submit Discovery Plan. See Order for deadlines. Signed by Magistrate Judge Carl W. Hoffman on 3/8/17. (Copies have been distributed pursuant to the NEF - ADR)
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TAMARA BEATTY PETERSON, ESQ., Bar No. 5218
tpeterson@petersonbaker.com
BENJAMIN K. REITZ, ESQ., Bar No. 13233
breitz@petersonbaker.com
PETERSON BAKER, PLLC
10001 Park Run Drive
Las Vegas, NV 89145
Telephone: 702.786.1001
Facsimile: 702.786.1002
Attorneys for Defendants Bogenius Group, LLC
and Andrew Boggeri
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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10001 Park Run Drive
Las Vegas, NV 89145
702.786.1001
PETERSON BAKER, PLLC
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JUSTOURS, INC., a Delaware
corporation; PUERTO VALLARTA
ACQUISITIONS, INC., a Delaware
corporation;
Plaintiffs,
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v.
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BOGENIUS GROUP, LLC, a California
limited liability company; ANDREW
BOGGERI, an individual; DOES I through
X; and ROE CORPORATIONS I through
X,
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CASE NO.: 2:17-cv-00078-GMN-CWH
STIPULATION AND [PROPOSED]
ORDER TO EXTEND TIME TO HOLD
FED. R. CIV. P. 26(f) CONFERENCE AND
SUBMIT DISCOVERY PLAN PENDING
THE RESOLUTION OF THE MOTION TO
COMPEL ARBITRATION
Defendants.
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(First Request)
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Defendants Bogenius Group, LLC and Andrew Boggeri (collectively, the "Defendants"),
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by and through their counsel of record, the law firm of Peterson Baker, PLLC, and Plaintiffs
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JusTours, Inc. and Puerto Vallarta Acquisitions, Inc. (collectively, the "Plaintiffs"), by and through
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their counsel of record, the law firm of Hogan Hulet PLLC, hereby state as follows:
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District Court, Clark County, Nevada (Case No. A-16-7674390-C).
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On January 9, 2017, Defendants filed their Notice of Removal Pursuant to 28 U.S.C.
ยงยง 1332, 1441, and 1445 [ECF No. 1];
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On November 30, 2016, Plaintiffs filed their Complaint in the Eighth Judicial
No. 5];
On January 17, 2017, Defendants filed their Motion to Compel Arbitration [ECF
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LLC and Andrew Boggeri's Motion to Compel Arbitration [ECF No. 7];
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On January 31, 2017, Plaintiffs filed their Response to Defendants Bogenius Group,
No. 6];
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On January 24, 2017, Defendants filed their Statement Regarding Removal [ECF
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On February 7, 2017, Defendants filed their Reply in Support of Motion to Compel
Arbitration [ECF No. 9];
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On February 8, 2017, the Parties filed a Joint Status Report [ECF No. 10];
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8.
Pursuant to LR 26-1, the Rule 26(f) Conference must be held within thirty (30) days
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after the first defendant answers or otherwise appears, and fourteen (14) after the conference, the
Parties must submit a stipulated discovery plan and scheduling order;
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Because it is in the best interest of all parties to await the Court's ruling on the
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10001 Park Run Drive
Las Vegas, NV 89145
702.786.1001
PETERSON BAKER, PLLC
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Motion to Compel Arbitration prior to setting discovery deadlines and incurring the time and
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expense of disclosing documents in the event the Court does compel this matter to arbitration, the
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parties have agreed to stay discovery in this action pending a ruling on the Motion to Compel
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Arbitration [ECF No. 7].
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THEREFORE, IT IS HEREBY STIPULATED AND AGREED, by and between the
parties, subject to the Court's approval, as follows:
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a.
The parties will meet and confer pursuant to Federal Rule of Civil Procedure
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26(f) within 30 days of the Court order on Defendants' Motion to Compel
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Arbitration [ECF No. 7]; and
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///
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b.
The parties will file a stipulated Discovery Plan and Scheduling Order within
fourteen (14) days after any such Rule 26(f) conference.
DATED this 7th day of March, 2017.
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10001 Park Run Drive
Las Vegas, NV 89145
702.786.1001
PETERSON BAKER, PLLC
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PETERSON BAKER, PLLC
HOGAN HULET PLLC
By: /s/ Tamara Beatty Peterson_________
TAMARA BEATTY PETERSON, ESQ.
Nevada Bar No. 5218
tpeterson@petersonbaker.com
BENJAMIN K. REITZ, ESQ.,
Nevada Bar No. 13233
breitz@petersonbaker.com
10001 Park Run Drive
Las Vegas, NV 89145
Telephone: 702.786.1001
Facsimile: 702.786.1002
By: /s/ Jeffrey Hulet_________________
KENNETH HOGAN, ESQ.
Nevada Bar No. 10083
ken@h2legal.com
JEFFREY HULET, ESQ.
Nevada Bar No. 10621
jeff@h2legal.com
1140 N. Town Center Dr., Suite 300
Las Vegas, NV 89144
Telephone: 702.800.5482
Facsimile: 702.800.5482
Attorneys for Defendants Bogenius Group,
LLC and Andrew Boggeri
Attorneys for Plaintiffs JusTours, Inc. and
Puerto Vallarta Acquisitions, Inc.
IT IS SO ORDERED.
March 8, 2017
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________________________________________
UNITED STATES DISTRICT COURT JUDGE
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Dated: ______________
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