Board of Trustees of the Southern Nevada Joint Management and Culinary and Bartenders Training Fund v. Fava et al
Filing
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ORDER Granting #20 Stipulation to Extend Time to Answer/Respond re: #1 Complaint. Christopher Fava answer due 3/15/2018. Signed by Magistrate Judge Carl W. Hoffman on 2/16/2018. (Copies have been distributed pursuant to the NEF - MMM)
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ROBERT S. LARSEN, ESQ.
Nevada State Bar No. 7785
DAVID T. GLUTH, II, ESQ.
Nevada State Bar No. 10596
GORDON REES SCULLY MANSUKHANI, LLP
300 South Fourth Street, Suite 1550
Las Vegas, Nevada 89101
Telephone: (702) 577-9301
Facsimile: (702) 255-2858
rlarsen@grsm.com
dgluth@grsm.com
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Attorneys for Defendant Christopher Fava
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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300 S. 4th Street, Suite 1550
Las Vegas, NV 89101
Gordon Rees Scully Mansukhani, LLP
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BOARD OF TRUSTEES OF THE SOUTHERN
NEVADA JOINT MANAGEMENT AND
CULINARY AND BARTENDERS TRAINING
FUND DBA CULINARY ACADEMY OF LAS
VEGAS,
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Plaintiffs,
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v.
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CHRISTOPHER FAVA, AN INDIVIDUAL;
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JAIME MONARDES, AN INDIVIDUAL;
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ECLIPSE THEATER LLC, A NEVADA
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LIMITED LIABILITY COMPANY; ECLIPSE )
THEATRE LAS VEGAS, LIMITED
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PARTNERSHIP, A DELAWARE LIMITED
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PARTNERSHIP; 21 GREENS INC, A NEVADA )
CORPORATION; FEDERAL INSURANCE
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COMPANY, AN INDIANA CORPORATION; )
HKM PRODUCTIONS INC., A NEVADA
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CORPORATION,
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Defendants.
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CASE NO. 2:18-cv-00036-JCM-CWH
STIPULATION AND ORDER
RE EXTENSION OF TIME FOR
CHRISTOPHER FAVA TO
RESPOND TO COMPLAINT
Plaintiffs Board of Trustees of the Southern Nevada Joint Management and Culinary and
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Bartenders Training Fund dba Culinary Academy of Las Vegas (“Plaintiffs”) and Christopher
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Fava (“Defendant Fava”) hereby stipulate and request that the Court enter an order extending the
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time by which Defendant Fava may respond to the Complaint. Plaintiffs and Defendant Fava
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hereby agree and stipulate to the following:
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1. WHEREAS on January 9, 2018, Plaintiffs filed their Complaint (ECF No. 1);
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2. WHEREAS on January 13, 2018, Plaintiffs served Defendant Fava (ECF No. 8);
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3. WHEREAS, a representative for Defendant Fava requested an extension of time to
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respond to the Compliant which Plaintiff agreed to extend the time to respond to
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March 1, 2018 (19 days). No stipulation was filed for this request.
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4. WHEREAS, Defendant Fava tendered a claim with his insurance company Chubb
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insurance.
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5. WHEREAS, on February 12, 2018, Chubb insurance appointed Gordon & Rees
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Scully Mansukhani to represent Defendant Fava in this matter.
6. WHEREAS, on February 12, 2018, Counsel for Defendant Fava contacted counsel
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300 S. 4th Street, Suite 1550
Las Vegas, NV 89101
Gordon Rees Scully Mansukhani, LLP
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for Plaintiffs to request a 45 day extension of time to respond to the Complaint.
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Counsel for Plaintiffs responded that additional time had already been granted and
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asked for further information as to why additional time was warranted. On February
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13, 2018, Counsel to Defendant Fava explained that Chubb retained Gordon & Rees
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on February 12, 2018, and that counsel needs 30 days to review documents,
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witnesses, and other information in order to prepare a response to the lengthy
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allegations of the Complaint. Counsel for Plaintiff agreed to an extension for another
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30 days.
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7. WHEREAS, the original deadline to respond to the Complaint was February 3, 2018;
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IT IS THEREFORE STIPULATED and agreed to by and between Plaintiffs and
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Defendant Fava that Defendant Fava has up to and including March 15, 2018 to respond to the
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Complaint.
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GORDON REES SCULLY MASUKHANI
LLP
BROWNSTEIN HYATT FARBER
SCHECK, LLP
By: /s/ Robert S. Larsen_______________
ROBERT S. LARSEN, ESQ
Nevada Bar No. 7785
DAVID T. GLUTH, II, ESQ.
Nevada State Bar No. 10596
300 So. 4th Street, Suite 1550
Las Vegas, NV 89101
Attorneys for Defendant Christopher Fava
By: /s/ Bryce C. Loveland
ADAM P. SEGAL, ESQ.
Nevada Bar No. 6120
BRYCE C. LOVELAND, ESQ.
Nevada Bar No. 10132
100 N. City Parkway, Suite 1600
Las Vegas, NV 89106
Attorneys for Plaintiff
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300 S. 4th Street, Suite 1550
Las Vegas, NV 89101
Gordon Rees Scully Mansukhani, LLP
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ORDER
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IT IS SO ORDERED.
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UNITED STATES MAGISTRATE JUDGE
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February 16, 2018
DATED: __________________________
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MGT/8011106/36825495v.1
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