Williams v. TLC Casino Enterprises, Inc. et al
Filing
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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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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
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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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
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Plaintiffs,
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vs.
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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,
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Case No. 2:17-cv-02810-JCM-GWF
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STIPULATION AND ORDER FOR
EXTENSION OF TIME TO FILE REPLY
IN SUPPORT OF DEFENDANTS’
MOTION TO DISMISS
(FIRST REQUEST)
Defendant.
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Plaintiff Valarie Williams (“Plaintiff”) and Defendants TLC Enterprises, Inc. and Four
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Queens, LLC (“Defendants”), by and through their undersigned counsel (collectively, the
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“Parties”), for good cause shown, hereby stipulate and agree to extend Defendants’ deadline to
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file a reply in support of their Motion to Dismiss [ECF No. 9] to January 18, 2018. This is the
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Parties’ first extension request.
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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:
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1.
Defendants filed their Motion to Dismiss on December 21, 2017 [ECF No. 9].
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2.
Plaintiff filed a Response to Defendants’ Motion to Dismiss on January 4, 2018
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[ECF No. 10].
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3.
The deadline for Defendants to file a reply in support of their Motion to Dismiss is
currently January 11, 2018.
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Counsel for Defendants requires additional time to locate, organize, and review the
relevant documents and prepare the appropriate response.
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On January 10, 2018, the Parties agreed to the extension requested herein.
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This stipulated extension request is sought in good faith and is not made for the
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purpose of delay.
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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
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L.L.P.
LAW OFFICES
3883 Howard Hughes Parkway, Suite 1100
Las Vegas, Nevada 89169
702.784.5200
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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
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ORDER
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IT IS ORDERED that the deadline for Defendants TLC Enterprises, Inc. and Four
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Queens, LLC to file a reply in support of their Motion to Dismiss is extended to January 18, 2018.
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January 11, 2018.
DATED: __________________, 2018.
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UNITED STATES DISTRICT COURT JUDGE
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Respectfully submitted,
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SNELL & WILMER L.L.P.
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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
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CERTIFICATE OF SERVICE
(18) years, and I am not a party to, nor interested in, this action. On this date, I caused to be
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served a true and correct copy of the foregoing STIPULATION AND ORDER FOR
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EXTENSION OF TIME TO FILE REPLY IN SUPPORT OF DEFENDANTS’ MOTION
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TO DISMISS (FIRST REQUEST) by the method indicated below:
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XXXXX
CM/ECF
_______
E-Mail
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_______
U.S. Mail
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Federal Express
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_______
Facsimile Transmission
_______
Hand Delivery
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_______
Electronic Service
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Snell & Wilmer
I, the undersigned, declare under penalty of perjury, that I am over the age of eighteen
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L.L.P.
LAW OFFICES
3883 Howard Hughes Parkway, Suite 1100
Las Vegas, Nevada 89169
702.784.5200
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and addressed to the following:
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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
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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.
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/s/ Maricris Williams
An Employee of Snell & Wilmer L.L.P.
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4837-8663-7914
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