Gold Water Trading Corporation v. Jinro America, Inc.
Filing
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ORDER Granting 34 Stipulation to File Second Amended Complaint. Amended Complaint deadline: 6/1/2018. Signed by Magistrate Judge Cam Ferenbach on 5/25/2018. (Copies have been distributed pursuant to the NEF - ADR)
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Greenberg Traurig, LLP
Suite 400 North, 3773 Howard Hughes Parkway
Las Vegas, Nevada 89169
(702) 792-3773
(702) 792-9002 (fax)
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Kara B. Hendricks (NVSBN 7743)
Christopher R. Miltenberger (NVSBN 10153)
GREENBERG TRAURIG, LLP
3773 Howard Hughes Parkway, Suite 400 North
Las Vegas, NV 89169
Telephone: (702) 792-3773
hendricksk@gtlaw.com
miltenbergerc@gtlaw.com
Christopher Tayback (CA SBN 145532, admitted pro hac vice)
Michael L. Fazio (CA SBN 228601, admitted pro hac vice)
QUINN EMANUEL URQUHART & SULLIVAN, LLP
865 South Figueroa Street, 10th Floor
Los Angeles, CA 90017-2543
Telephone: (213) 443-3000
christayback@quinnemanuel.com
michaelfazio@quinnemanuel.com
Attorneys for Defendant Jinro America, Inc.
UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
GOLD WATER TRADING CORPORATION, a
Nevada corporation,
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Plaintiff,
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vs.
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JINRO AMERICA, INC., a foreign corporation;
DOES I-X, inclusive; and ROE Corporations and
Limited Liability Companies I-X, inclusive,
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CASE NO. 2:18-cv-00257 JAD-VCF
STIPULATION AND [PROPOSED]
ORDER TO FILE SECOND
AMENDED COMPLAINT
[SECOND REQUEST]
Defendants.
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Pursuant to LR 1A 6-1, LR 1A 6-2, LR 7-1, and FRCP 15(a)(2), Defendant Jinro America,
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Inc. (“JAI”) and Plaintiff Gold Water Trading Corporation (“Gold Water”) (collectively, the
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“Parties”), by and through their respective counsel of record, hereby agree and stipulate to withdraw
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Gold Water’s Motion for Leave to File Second Amended Complaint (ECF No. 31), permit Gold Water
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to file a Second Amended Complaint on or before June 1, 2018, to extend JAI’s deadline to answer
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Gold Water’s Second Amended Complaint to June 29, 2018, and request that the Court enter an order
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approving same.
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WHEREAS Gold Water filed its Complaint in this matter in the Eighth Judicial District Court,
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Clark County, Nevada on January 31, 2018. JAI removed the action to this Court on February 12,
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2018 (ECF No. 1). Plaintiff did not move to remand this action.
05651-00001/10137344.2
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WHEREAS on February 16, 2018, Gold Water filed an Emergency Motion for Temporary
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Restraining Order and Preliminary Injunction (the “Motion”) (ECF No. 7). JAI filed its Opposition
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to the Motion on February 21, 2018 (ECF No. 9). Gold Water filed its Reply in support of its Motion
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on February 28, 2018 (ECF No. 17). On March 6, 2018, the Court entered an Order Denying the
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relief sought in the Motion (the “Order”). (ECF No. 20). In the Order, the Court noted that certain
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“new evidence might cause Gold Water to seek to amend its pleading.” See Order, ECF No. 20, 6:1-
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WHEREAS subsequent to the issuance of the Order, the parties conducted a telephonic meet
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and confer with respect to the status of this action. During this meet and confer, Gold Water indicated
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Greenberg Traurig, LLP
Suite 400 North, 3773 Howard Hughes Parkway
Las Vegas, Nevada 89169
(702) 792-3773
(702) 792-9002 (fax)
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that it intended to amend its Complaint and the parties discussed a briefing schedule to allow Gold
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Water to file its First Amended Complaint and for JAI to file its response to Gold Water’s First
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Amended Complaint. On March 13, 2018, the parties filed a stipulation and proposed order to permit
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Gold Water to file its First Amended Complaint and to extend the deadline for JAI to answer the First
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Amended Complaint. (ECF No. 23). The Court approved the stipulation via order. (ECF No. 25).
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Gold Water filed its First Amended Complaint on April 12, 2018. (ECF No. 29). JAI filed its Answer
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to the First Amended Complaint on April 27, 2018. (ECF No. 30).
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WHEREAS on May 11, 2018, Gold Water sought leave from the Court to file a Second
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Amended Complaint. (ECF Nos. 31, 31-1). On May 17, 2018, in the interests of judicial economy
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and to reduce the need for the parties to file unnecessary documents with the Court, the parties
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discussed a briefing schedule to allow Gold Water to file its Second Amended Complaint and for JAI
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to file its response thereto.
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Based on the foregoing, and pursuant to FRCP 15(a)(2), the parties respectfully request that
the Court enter an order as contemplated by the parties during their meet and confer, as follows:
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Gold Water’s existing Motion for Leave to file a Second Amended Complaint (ECF
No. 31) is withdrawn;
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Gold Water shall have up to and including June 1, 2018, in which to file and serve a
Second Amended Complaint;
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05651-00001/10137344.2
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JAI shall have up to and including June 29, 2018, in which to answer Gold Water’s
Second Amended Complaint.
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This stipulation is entered into in good faith and is not intended to delay these proceedings.
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Instead, this stipulation will further the interests of justice and judicial efficiency. No party in the
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action will be prejudiced by this stipulation as all parties are in agreement with respect to this
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schedule. Based on the foregoing, good cause exists to enter the order extending the parties’ briefing
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schedule as contemplated herein and the parties respectfully request that the Court enter an order
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approving the same.
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This is the parties’ second request for an extension of time for either Gold Water to submit an
Greenberg Traurig, LLP
Suite 400 North, 3773 Howard Hughes Parkway
Las Vegas, Nevada 89169
(702) 792-3773
(702) 792-9002 (fax)
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amended pleading or for JAI to serve a response to any Complaint.
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DATED this 23rd day of May, 2018.
DATED this 23rd day of May, 2018.
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GREENBERG TRAURIG, LLP
LEVINE, GARFINKEL & ECKERSLEY
/s/ Christopher R. Miltenberger
Kara B. Hendricks (NVSBN 7743)
Christopher R. Miltenberger (NVSBN 10153)
3773 Howard Hughes Parkway, Suite 400 N
Las Vegas, NV 89169
/s/ Louis E. Garfinkel
Louis E. Garfinkel (NVSBN 3416)
2965 S. Jones Boulevard, Suite C1-140
Las Vegas, NV 89146
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Karen H. Ross (NVSBN 9299)
THE LAW OFFICE OF KAREN H. ROSS
2275 Corporate Circle, Suite 160
Henderson, NV 89074
Christopher Tayback (CA SBN 145532,
admitted pro hac vice)
Michael L. Fazio (CA SBN 228601,
admitted pro hac vice)
QUINN EMANUEL URQUHART
& SULLIVAN, LLP
865 South Figueroa Street, 10th Floor
Los Angeles, CA 90017-2543
Attorneys for Defendant
Jinro America, Inc.
Attorneys for Plaintiff
Gold Water Trading Corporation
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IT IS SO ORDERED:
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_______________________________________
UNITED STATES MAGISTRATE JUDGE
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DATED: 5-24-2018
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05651-00001/10137344.2
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