Federal Trade Commission v. MGM Resorts International

Filing 26

ORDER granting 25 Stipulation of Dismissal. Action dismissed without prejudice, with each party to bear its own costs and attorneys' fees. Signed by Judge James C. Mahan on 3/3/2025. (Copies have been distributed pursuant to the NEF - CAH)

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Case 2:24-cv-01112-JCM-MDC Document 26 Filed 03/03/25 Page 1 of 2 LUCAS CROSLOW, General Counsel DAVID HANKIN, Cal. Bar No. 319825 dhankin@ftc.gov Federal Trade Commission 10990 Wilshire Boulevard, Suite 400 Los Angeles, CA 90024 Tel: (310) 824-4300 Fax: (310) 824-4380 Attorneys for Petitioner Federal Trade Commission UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA FEDERAL TRADE COMMISSION, Case No. 2:24-cv-1112-JCM-MDC Petitioner, STIPULATION OF DISMISSAL v. MGM RESORTS INTERNATIONAL, Respondent. STIPULATION OF DISMISSAL Pursuant to Federal Rule of Civil Procedure Rule 41, Petitioner Federal Trade Commission (the “FTC”) and Respondent MGM Resorts International (“MGM”) (together, the “Parties”), by and through their counsel of record, hereby submit this Stipulation of Dismissal. The Parties stipulate and agree as follows: 1. On January 25, 2024, the FTC issued a Civil Investigative Demand (“CID”) to MGM investigating a recent data breach it experienced. 2. On June 17, 2024, the FTC initiated the above-captioned action by filing a petition to enforce the CID (the “Petition”). (ECF No. 2). 3. On December 13, 2024, the Court denied without prejudice the Petition and stayed the action. (ECF No. 24). 4. On February 25, 2025, the FTC withdrew the CID. As such, there is no CID to -1- Case 2:24-cv-01112-JCM-MDC Document 26 Filed 03/03/25 Page 2 of 2 enforce, and this action is moot. 5. NOW, THEREFORE, the Petitioner, the Federal Trade Commission, and the Respondent, MGM Resorts International, hereby stipulate and agree that the above-captioned action be dismissed without prejudice, with each party to bear its own costs and attorneys’ fees. FEDERAL TRADE COMMISSION MGM RESORTS INTERNATIONAL /s/ David Hankin . DAVID HANKIN FEDERAL TRADE COMMISSION 10990 Wilshire Boulevard, Suite 400 Los Angeles, CA 90024 dhanking@ftc.gov Tel: (310) 824-4317 /s/ Brian J. Boyle . Brian J. Boyle, Esq. DLA PIPER LLP 500 8TH Street NW Washington, DC 2004 brian.boyle@us.dlapiper.com Tel: (215) 656-2450 Date: February 28, 2025 Date: February 28, 2025 MGM RESORTS INTERNATIONAL /s/ Emily A. Buchwald . Todd L. Bice, Esq. Emily A. Buchwald, Esq. Daniel R. Brady, Esq. PISANELLI BICE PLLC 400 South 7th Street, Suite 300 Las Vegas, NV 89101 tlb@pisanellibice.com eab@pisanellibice.com drb@pisanellibice.com Tel: (702) 214-2100 Date: February 28, 2025 IT IS SO ORDERED: ________________________________ UNITED STATES DISTRICT JUDGE March 3, 2025 DATED: _________________ -2-

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