Koutseva v. Wynn Resorts Holdings, LLC et al

Filing 9

ORDER Granting 7 Stipulation to Extend Time to Answer/Respond re: 1 Complaint. Encore Spa answer due 1/22/2018; Wynn Las Vegas, LLC answer due 1/22/2018; Wynn Resorts Holdings, LLC answer due 1/22/2018. Signed by Magistrate Judge Carl W. Hoffman on 1/9/2018. (Copies have been distributed pursuant to the NEF - MMM)

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Case 2:17-cv-03021-JCM-CWH Document 7 Filed 01/08/18 Page 1 of 2 1 2 3 4 5 6 7 KAMER ZUCKER ABBOTT Jen J. Sarafina #9679 3000 West Charleston Boulevard, Suite 3 Las Vegas, Nevada 89102-1990 Tel. (702) 259-8640 Fax (702) 259-8646 jsarafina@kzalaw.com Attorneys for Defendants Wynn Resorts Holdings, LLC, Wynn Las Vegas, LLC, and Encore Spa 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 12 13 14 15 16 17 SOFIA Y. KOUTSEVA, ) ) Plaintiff, ) ) vs. ) ) WYNN RESORTS HOLDING, LLC, Nevada ) Limited Liability Company; WYNN LAS ) VEGAS; ENCORE SPA; and DOES and ROES ) I through XX, inclusive, ) ) Defendant. ) ) Case No. 2:17-cv-03021-JCM-CWH STIPULATION AND REQUEST FOR EXTENSION OF TIME FOR DEFENDANTS WYNN RESORTS HOLDINGS, LLC, WYNN LAS VEGAS, LLC, AND ENCORE SPA TO RESPOND TO PLAINTIFF’S COMPLAINT (First Request) 18 Plaintiff Sofia Y. Koutseva, appearing in Proper Person, and Defendants Wynn Resorts 19 Holdings, LLC, Wynn Las Vegas, LLC, and Encore Spa (hereinafter collectively referred to as 20 “Wynn”), by and through their counsel of record, the law firm of Kamer Zucker Abbott, stipulate 21 and request that the Court extend the deadline for Wynn’s Response to Plaintiff’s Complaint 22 from the current deadline of January 10, 2018, up to and including January 22, 2018. In support 23 of this Stipulation and Request, the parties state as follows: 24 25 1. Defendant Wynn was served with the Summons and Complaint in this matter on December 20, 2017, rendering its response to the Complaint due by January 10, 2018. 26 27 28 KAMER ZUCKER ABBOTT Attorneys at Law 3000 West Charleston Boulevard, Suite 3 • Las Vegas, NV 89102 • (702) 259-8640 Page 1 of 2 Case 2:17-cv-03021-JCM-CWH Document 7 Filed 01/08/18 Page 2 of 2 1 2. Counsel for Wynn recently had knee surgery, is still in physical therapy three (3) 2 times per week, and has still not returned to the office full time. Moreover, counsel for Wynn 3 had additional time out of the office for the federal holidays of Christmas and New Year’s Day. 4 3. This request is being sought in good faith and is not sought for any improper 5 purpose or other purpose of delay. This request is brought only to provide Wynn’s counsel with 6 sufficient time to review and respond to Plaintiff’s Complaint. 7 8 WHEREFORE, the parties respectfully request that the Court extend the deadline for Defendant Wynn to respond to Plaintiff’s Complaint, up to and including January 22, 2018. DATED this 8th day of January, 2018. 9 10 11 12 13 14 15 Respectfully submitted, Respectfully submitted, /s/ Sofia Y. Koutseva Sofia Y. Koutseva 7251 Burrett Avenue Las Vegas, Nevada 89178 Telephone: (702) 494-7521 /s/ Jen J. Sarafina Jen J. Sarafina #9679 KAMER ZUCKER ABBOTT 3000 West Charleston Boulevard, Suite 3 Las Vegas, NV 89102 Telephone: (702) 259-8640 Facsimile: (702) 259-8646 Plaintiff in Proper Person 16 Attorneys for Defendants Wynn Resorts Holdings, LLC, Wynn Las Vegas, LLC, and Encore Spa 17 18 19 20 IT IS SO ORDERED. 21 22 January 9, 2018 23 24 DATE UNITED STATES MAGISTRATE JUDGE 25 26 27 28 KAMER ZUCKER ABBOTT Attorneys at Law 3000 West Charleston Boulevard, Suite 3 • Las Vegas, NV 89102 • (702) 259-8640 Page 2 of 2

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