Hutchison v. Ethical Capital Partners et al
Filing
48
ORDER Granting 47 Stipulation for Extension of Time. Second Amended Complaint deadline: 12/2/2024. Aylo Premium Ltd. responsive pleading due 1/17/2025. Discovery Plan/Scheduling Order due by 2/6/2025. Signed by Magistrate Judge Brenda Weksler on 11/26/2024. (Copies have been distributed pursuant to the NEF - AMMi)
1 Rory T. Kay (NSBN 12416)
John A. Fortin (NSBN 15221)
2 McDONALD CARANO LLP
2300 West Sahara Avenue, Suite 1200
3 Las Vegas, Nevada 89102
Telephone: (702) 873-4100
4 rkay@mcdonaldcarano.com
jfortin@mcdonaldcarano.com
5
Attorneys for Defendant
6 Aylo Premium Ltd
7
UNITED STATES DISTRICT COURT
8
DISTRICT OF NEVADA
9
10 MELISSA HUTCHISON aka PHOENIX
MARIE, an individual,,
11
Plaintiff,
12
v.
13
ETHICAL CAPITAL PARTNERS, a foreign
14 entity; AYLO PREMIUM LTD., a foreign
corporation; DM PRODUCTIONS, a foreign
15 entity; DIGITAL PLAYGROUND, a foreign
entity; MIND GEEK USA
16 INCORPORATED, a foreign entity; MG
PREMIUM LTD, a foreign entity; DM
17 PRODUCTIONS, a foreign entity; DIGITAL
PLAYGROUND, a foreign entity; DANNY
18 MARTIN aka DANNY D, an individual;
FRANK PETOSA an individual; RYAN
19 HOGAN, an individual; MICHAEL
WOODSIDE, an individual; and DOES 1
20 through 50,,
21
Case No. 2:24-cv-00673-GMN-BNW
STIPULATION AND ORDER TO
EXTEND BRIEFING SCHEDULE
(FIRST REQUEST)
Defendants.
22
23
Under LR IA 6-1 and 6-2 and LR 7-1, Plaintiff Melissa Hutchison aka Phoenix Marie
24 (“Plaintiff”) and Defendant Aylo Premium Ltd (“Aylo”), by and through their attorneys, hereby
25 agree and stipulate to the following:
26
1.
On October 31, 2024, the Court granted Defendants Frank Petosa, Michael
27 Woodside, and Ryan Hogan (the “Removing Defendants”) motion to dismiss with prejudice. ECF
28 No. 43. In the same order, the Court granted Aylo’s motion to dismiss without prejudice. Id. The
1 Court ordered Plaintiff to file an amended complaint within 21 days from the date of its order (e.g.,
2 November 21, 2024) and include any jurisdictional facts Plaintiff has against Aylo. Id.
3
2.
The Parties have met and conferred and stipulate and agree that good cause exists for
4 the Court to extend the time for upcoming filings due to the impending holidays and several
5 professional commitments both Parties’ counsel have over the coming weeks.
6
3.
First, the Parties stipulate and agree that Plaintiff shall have until December 2, 2024,
7 to file her Second Amended Complaint.
8
4.
Second, the Parties stipulate and agree that Aylo shall have until January 17, 2025 to
9 file a responsive pleading.
10
5.
Finally, the Parties stipulate and agree that a joint discovery plan and scheduling order
11 shall be submitted by February 6, 2025.
12
6.
This is the first request to extend these deadlines.
13
7.
These requests for extensions of time are not intended to cause any delay or prejudice
14 any party.
15
16
17
18
19
20
21
Dated this 20th day of November, 2024.
McDONALD CARANO LLP
KERR SIMPSON ATTORNEYS AT
LAW
By: /s/ Rory T. Kay
Rory T. Kay (NSBN 12416)
John A. Fortin (NSBN 15221)
2300 West Sahara Avenue, Suite 1200
Las Vegas, Nevada 89102
By: /s/ George E. Robinson
P. Sterling Kerr, Esq. (NSBN 3978)
George E. Robinson (NSBN 9667)
2900 W. Horizon Ridge Pkwy. Suite 200
Henderson, Nevada 89052
Attorneys for Defendants
Aylo Premium Ltd
Attorneys for Plaintiff Melissa Hutchison aka
Phoenix Marie
22
23
IT IS SO ORDERED.
24
________________________________________
UNITED STATES MAGISTRATE JUDGE
25
26
DATED: ________________________________
11/26/2024
27
28
2
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?