Water Street Gaming LLC v. Reyes
Filing
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ORDER granting ECF No. 13 STIPULATION FOR EXTENSION OF TIME FOR DEFENDANT TO RESPOND TO THE COMPLAINT PURSUANT TO CIVIL LOCAL RULE IA 6-1(a) (Third Request). Answer/Response re ECF No. 2 is due by 5/13/2024. Signed by Magistrate Judge Brenda Weksler on 5/7/2024. (Copies have been distributed pursuant to the NEF - GA)
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Sarah Grossman-Swenson, SBN 11979
McCRACKEN, STEMERMAN & HOLSBERRY, LLP
1630 South Commerce Street, Suite A-1
Las Vegas, Nevada 89102
Phone: (702) 386-5107
Facsimile: (702) 386-9848
Email: sgs@msh.law
Attorneys for Defendant Culinary Workers Union
Local 226
Anthony L. Hall, SBN 5977
Jacee Harding, SBN 15709
SIMONS HALL JOHNSTON PC
690 Sierra Rose Dr.
Reno, Nevada 89511
Phone: (775)-785-0088
Email: AHall@SHJNevada.com;
JHarding@SHJNevada.com
Attorneys for Plaintiff Water Street Gaming LLC
UNITED STATES DISTRICT COURT
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FOR THE DISTRICT OF NEVADA
WATER STREET GAMING LLC, d/b/a
Rainbow Club.
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Plaintiff,
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Case No. 2:24-cv-00297
STIPULATION FOR EXTENSION
OF TIME FOR DEFENDANT TO
RESPOND TO THE COMPLAINT
PURSUANT TO CIVIL LOCAL
RULE IA 6-1(a)
v.
CULINARY WORKERS UNION
LOCAL 226,
(Third Request)
Defendant.
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Plaintiff Water Street Gaming LLC d/b/a Rainbow Club (“Rainbow Club”) and Defendant
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Culinary Workers Union Local 226 (“Local 226”), by and through their respective attorneys of
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STIPULATION FOR EXTENSION OF TIME
Case No. 2:24-cv-00297
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record herein, and without waiving any rights, claims, or defenses they have in this action, enter
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into this Stipulation pursuant to Civil Local Rule 6-1(a) as follows:
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WHEREAS, Rainbow Club filed its Amended Complaint on February 13, 2024, ECF No.
2;
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WHEREAS, on February 16, 2024, Rainbow Club served its Amended Complaint;
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WHEREAS, on March 8, 2024, the Court granted the Parties’ Stipulation for Extension
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of Time for Defendant to respond to the Amended Complaint to April 5, 2024, ECF No. 8;
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WHEREAS, on April 10, 2024 the Court granted the Parties’ Second Stipulation for
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Extension of time for Defendant to respond to the Amended Complaint to May 6, 2024, ECF No.
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WHEREAS, the Parties continue to be engaged in substantive settlement discussions and
have made significant progress;
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WHEREAS, in order to see whether the case can be resolved without further involvement
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of the Court, Plaintiffs have agreed to give Defendant an extension of time to respond to the
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Complaint of up to and including May 13, 2024;
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WHEREAS, the Parties believe that these circumstances constitute good cause for
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granting a third extension of time to respond because it will conserve judicial and party resources
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if the Parties can resolve the case without further Court involvement;
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WHEREAS, such an extension will not alter any event or deadline already fixed by Court
order.
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NOW, THEREFORE, the Parties, through their undersigned counsel, hereby stipulate that
Local 226 will respond to the Amended Complaint on or before May 13, 2024.
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IT IS SO STIPULATED.
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STIPULATION FOR EXTENSION OF TIME
Case No. 2:24-cv-00297
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SIMONS HALL JOHNSTON PC
MCCRACKEN, STEMERMAN &
HOLSBERRY, LLP
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By: /s/Jacee Harding
By: /s/Sarah Grossman-Swenson
Sarah Grossman-Swenson, SBN 11979
sgs@msh.law
Anthony L. Hall, SBN 5977
AHall@SHJNevada.com
Jacee Harding, SBN 15709
JHarding@SHJNevada.com
690 Sierra Rose Dr.
Reno, Nevada 89511
1630 South Commerce Street
Suite A-1
Las Vegas, Nevada 89102
Attorneys for Defendant
Attorneys for Plaintiff
IT IS SO ORDERED.
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Dated: ____________________________
5/7/2024
______________________________
UNITED STATES MAGISTRATE JUDGE
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STIPULATION FOR EXTENSION OF TIME
Case No. 2:24-cv-00297
PROOF OF SERVICE
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I hereby certify that on the 3rd day of May, 2024, I served a true and correct
copy of the foregoing document:
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STIPULATION FOR EXTENSION OF TIME FOR DEFENDANT TO
RESPOND TO THE COMPLAINT PURSUANT TO CIVIL LOCAL RULE
IA 6-1(a) (Third Request)
Via electronic filing and electronic mail, addressed as follows:
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Anthony L. Hall, SBN 5977
AHall@SHJNevada.com
Jacee Harding, SBN 15709
JHarding@SHJNevada.com
SIMONS HALL JOHNSTON PC
690 Sierra Rose Dr.
Reno, Nevada 89511
Tel: (775)-785-0088
Attorneys for Plaintiff
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I declare under penalty of perjury that the foregoing is true and correct.
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Katherine Pierre
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PROOF OF SERVICE
Case No. 2:24-cv-00297
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