TPOV Enterprises 16, LLC v. Paris Las Vegas Operating Company, LLC
Filing
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ORDER granting 364 Stipulation to Extend Reply Deadlines. Replies due by 4/4/2024. Replies due by 4/18/2024. Signed by Magistrate Judge Maximiliano D. Couvillier, III on 4/1/2024. (Copies have been distributed pursuant to the NEF - CT)
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PISANELLI BICE PLLC
400 South 7th Street, Suite 300
Las Vegas, Nevada 89101
Telephone: 702.214.2100
Attorneys for Paris Las Vegas
Operating Company, LLC
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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PISANELLI BICE PLLC
400 SOUTH 7TH STREET, SUITE 300
LAS VEGAS, NEVADA 89101
James J. Pisanelli, Esq., Bar No. 4027
JJP@pisanellibice.com
Debra L. Spinelli, Esq., Bar No. 9695
DLS@pisanellibice.com
M. Magali Mercera, Esq., Bar No. 11742
MMM@pisanellibice.com
TPOV ENTERPRISES 16, LLC, a Delaware
Limited Liability Company,
Plaintiff,
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vs.
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PARIS LAS VEGAS OPERATING
COMPANY, LLC, a Nevada limited liability
company,
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Defendant.
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CASE NO. 2:17-cv-00346-JCM-MDC
STIPULATION AND PROPOSED ORDER
TO EXTEND DEADLINE TO:
(1) FILE REPLY IN SUPPORT OF PARIS
LAS VEGAS OPERATING COMPANY,
LLC'S MOTION TO LIFT STAY [ECF
NO. 357]; AND
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(2) FILE REPLY IN SUPPORT OF
COUNTERMOTION TO STAY MATTER
PENDING RESOLUTION OF STATE
COURT APPELLATE PROCEEDINGS
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(FIRST REQUEST)
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PARIS LAS VEGAS OPERATING
COMPANY, LLC, a Nevada limited liability
company,
Counterclaimant.
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vs.
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TPOV ENTERPRISES, LLC, a Delaware
Limited Liability Company, TPOV
ENTERPRISES 16, LLC, a Delaware Limited
Liability Company, Rowen Siebel, an
individual.
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Counter-defendants.
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Pursuant to LR IA 6-1, Plaintiff/Counterdefendant TPOV Enterprises 16, LLC ("TPOV 16");
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Counterdefendant TPOV Enterprises, LLC ("TPOV"); Counterdefendant Rowen Seibel ("Seibel")
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(collectively, the "TPOV Parties"); and Defendant/Counterclaimant Paris Las Vegas Operating
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Company, LLC ("Paris") (collectively, the "Parties"), by and through their undersigned counsel of
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record, stipulate and agree as follows:
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1.
"Motion");
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2.
PISANELLI BICE PLLC
400 SOUTH 7TH STREET, SUITE 300
LAS VEGAS, NEVADA 89101
On March 21, 2024, the TPOV Parties filed their Response to Paris' Motion and a
Countermotion to Stay Matter Pending Resolution of State Court Appellate Proceedings [ECF No.
361] (the "Countermotion");
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On February 22, 2024, Paris filed a Motion to Lift Stay [ECF No. 357] (the
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Paris presently has until March 28, 2024, to file its reply in support of the Motion and
until April 4, 2024, to file its response to the Countermotion;
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4.
Given the overlapping issues, the parties have agreed that the deadline to file the reply
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in support of the Motion shall be extended to April 4, 2024, the same date as the deadline to file the
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response to the Countermotion;
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5.
Additionally, in order to accommodate scheduling conflicts for the TPOV Parties'
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counsel, the deadline for the TPOV Parties to file their reply in support of the Countermotion shall
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be extended to April 18, 2024;
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6.
Good cause exists to extend the deadline for the reply in support of the Motion and
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the reply in support of the Countermotion as set forth above; and
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///
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7.
This is the first request for extending the deadline to file the reply in support of the
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Motion and the reply in support of the Countermotion and is sought in good faith and not for purposes
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of delay.
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DATED this 28th day of March 2024.
DATED this 28th day of March 2024.
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PISANELLI BICE PLLC
BAILEY KENNEDY
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By:
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PISANELLI BICE PLLC
400 SOUTH 7TH STREET, SUITE 300
LAS VEGAS, NEVADA 89101
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/s/ M. Magali Mercera
By:
/s/ Paul C. Williams
James J. Pisanelli, Esq., Bar No. 4027
John R. Bailey, Esq., Bar No. 0137
Debra L. Spinelli, Esq., Bar No. 9695
Dennis L. Kennedy, Esq., Bar No. 1462
M. Magali Mercera, Esq., Bar No. 11742
Joshua P. Gilmore, Esq., Bar No. 11576
400 South 7th Street, Suite 300
Paul C. Williams, Esq., Bar No. 12524
Las Vegas, Nevada 89101
8984 Spanish Ridge Avenue
Las Vegas, NV 89148-1302
Attorneys for Paris Las Vegas Operating
Company, LLC
Attorneys for TPOV Enterprises 16, LLC,
TPOV Enterprises, LLC and Rowen Seibel
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IT IS SO ORDERED.
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Hon. Maximiliano D Couvillier III
United States Magistrate Judge
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DATED: April 1, 2024
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CASE NO. 2:17-cv-00346-JCM-MDC
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