Williams v. TLC Casino Enterprises, Inc. et al

Filing 12

ORDER Granting 11 Stipulation for Extension of Time re 9 Motion to Dismiss (First Request). Replies due by 1/18/2018. Signed by Judge James C. Mahan on 1/11/2018. (Copies have been distributed pursuant to the NEF - MR)

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1 2 3 4 5 Paul Swenson Prior (Nevada Bar #9324) SNELL & WILMER L.L.P. 3883 Howard Hughes Parkway, Suite 1100 Las Vegas, Nevada 89169 Telephone: 702.784.5200 Facsimile: 702.784.5252 Email: sprior@swlaw.com Attorneys for Defendants TLC Enterprises, Inc. and Four Queens, LLC 6 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 10 VALARIE WILLIAMS, individually and on behalf of others similarly situated, Snell & Wilmer L.L.P. LAW OFFICES 3883 Howard Hughes Parkway, Suite 1100 Las Vegas, Nevada 89169 702.784.5200 11 Plaintiffs, 12 vs. 13 TLC CASINO ENTERPRISES, INC. d/b/a and a/k/a FOUR QUEENS HOTEL AND CASINO; FOUR QUEENS, LLC d/b/a and a/k/a FOUR QUEENS HOTEL AND CASINO; Employee(s)/Agent(s) Does 1-100; and Roe Corporations, Companies and/or Partnerships 101-151, inclusive, 14 15 16 Case No. 2:17-cv-02810-JCM-GWF 17 STIPULATION AND ORDER FOR EXTENSION OF TIME TO FILE REPLY IN SUPPORT OF DEFENDANTS’ MOTION TO DISMISS (FIRST REQUEST) Defendant. 18 19 Plaintiff Valarie Williams (“Plaintiff”) and Defendants TLC Enterprises, Inc. and Four 20 Queens, LLC (“Defendants”), by and through their undersigned counsel (collectively, the 21 “Parties”), for good cause shown, hereby stipulate and agree to extend Defendants’ deadline to 22 file a reply in support of their Motion to Dismiss [ECF No. 9] to January 18, 2018. This is the 23 Parties’ first extension request. 24 25 Pursuant to Federal Rule of Civil Procedure 6(b)(1) and Local Rule 6-1, there exists good cause to grant this extension to respond for the following reasons: 26 1. Defendants filed their Motion to Dismiss on December 21, 2017 [ECF No. 9]. 27 2. Plaintiff filed a Response to Defendants’ Motion to Dismiss on January 4, 2018 28 [ECF No. 10]. 1 2 3 4 3. The deadline for Defendants to file a reply in support of their Motion to Dismiss is currently January 11, 2018. 4. Counsel for Defendants requires additional time to locate, organize, and review the relevant documents and prepare the appropriate response. 5 5. On January 10, 2018, the Parties agreed to the extension requested herein. 6 6. This stipulated extension request is sought in good faith and is not made for the 7 purpose of delay. 8 9 Therefore, the Parties jointly agree to extend the deadline for Defendants to file a reply in support of their Motion to Dismiss to January 18, 2018. Snell & Wilmer DATED: January 10, 2018 DATED: January 10, 2018 11 L.L.P. LAW OFFICES 3883 Howard Hughes Parkway, Suite 1100 Las Vegas, Nevada 89169 702.784.5200 10 GABROY LAW OFFICES SNELL & WILMER L.L.P. By: /s/ Christian Gabroy Christian Gabroy (Nevada Bar #8805) Kaine Messer (Nevada Bar #14240) The District at Green Valley Ranch 170 South Green Valley Pkwy, Suite 280 Henderson, NV 89012 Attorneys for Plaintiff Valarie Williams By: /s/ Paul Swenson Prior Paul Swenson Prior (Nevada Bar #9324) 3883 Howard Hughes Parkway Suite 1100 Las Vegas, Nevada 89169 Attorneys for Defendants TLC Enterprises, Inc. and Four Queens, LLC 12 13 14 15 16 ORDER 17 18 IT IS ORDERED that the deadline for Defendants TLC Enterprises, Inc. and Four 19 Queens, LLC to file a reply in support of their Motion to Dismiss is extended to January 18, 2018. 20 January 11, 2018. DATED: __________________, 2018. 21 UNITED STATES DISTRICT COURT JUDGE 22 Respectfully submitted, 23 SNELL & WILMER L.L.P. 24 By: /s/ Paul Swenson Prior Paul Swenson Prior (Nevada Bar #9324) 3883 Howard Hughes Parkway, Suite 1100 Las Vegas, Nevada 89169 Attorneys for Defendants TLC Enterprises, Inc. and Four Queens, LLC 25 26 27 28 -2- 1 CERTIFICATE OF SERVICE (18) years, and I am not a party to, nor interested in, this action. On this date, I caused to be 4 served a true and correct copy of the foregoing STIPULATION AND ORDER FOR 5 EXTENSION OF TIME TO FILE REPLY IN SUPPORT OF DEFENDANTS’ MOTION 6 TO DISMISS (FIRST REQUEST) by the method indicated below: 7 XXXXX CM/ECF _______ E-Mail 8 _______ U.S. Mail _______ Federal Express 9 _______ Facsimile Transmission _______ Hand Delivery 10 _______ Electronic Service 11 Snell & Wilmer I, the undersigned, declare under penalty of perjury, that I am over the age of eighteen 3 L.L.P. LAW OFFICES 3883 Howard Hughes Parkway, Suite 1100 Las Vegas, Nevada 89169 702.784.5200 2 and addressed to the following: 12 Christian Gabroy, Esq. Kaine Messer, Esq. GABROY LAW OFFICES The District at Green Valley Ranch 170 South Green Valley Pkwy, Suite 280 Henderson, NV 89012 Telephone: (702) 259-7777 Facsimile: (702) 259-7704 Email: christian@gabroy.com kmesser@gabroy.com 13 14 15 16 17 18 19 20 21 22 23 24 Mark R. Thierman, Esq. Joshua D. Buck, Esq. THIERMAN BUCK LLP 7287 Lakeside Drive Reno, NV 89511 Telephone: (775) 284-1500 Facsimile: (775) 703-5027 Email: mark@thiermanbuck.com josh@thiermanbuck.com Attorneys for Plaintiff Valarie Williams DATED this 10th day of January, 2018. 25 /s/ Maricris Williams An Employee of Snell & Wilmer L.L.P. 26 4837-8663-7914 27 28 -3-

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