Sargant vs HG Staffing, LLC

Filing 277

ORDER granting ECF No. 276 Stipulation Extending the Time to File Replies in Support of ECF Nos. 253 , 254 , 255 , 256 , 257 and 258 Motions for Summary Judgment Replies due by 6/4/2018. Signed by Judge Larry R. Hicks on 5/3/2018. (Copies have been distributed pursuant to the NEF - KW)

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Case 3:13-cv-00453-LRH-WGC Document 276 Filed 05/02/18 Page 1 of 2 1 2 3 4 5 6 7 8 COHEN|JOHNSON|PARKER|EDWARDS H. STAN JOHNSON, ESQ. Nevada bar No. 00265 sjohnson@cohenjohnson.com CHRIS DAVIS, ESQ. Nevada Bar No. 6616 cdavis@cohenjohnson.com 375 East Warm Springs Road, Suite 104 Las Vegas, Nevada 89119 Telephone: (702) 823-3500 Facsimile: (702) 823-3400 Attorneys for Defendants UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 9 11 12 375 E. Warm Springs Road, Ste. 104 Las Vegas, Nevada 89119 (702) 823-3500 FAX: (702) 823-3400 COHEN|JOHNSON|PARKER|EDWARDS 10 13 14 TIFFANY SARGENT, BAILEY CRYDERMAN, SAMANTHA L. IGNACIO (formerly SCHNEIDER), VINCENT M. IGNACIO, HUONG (“ROSIE”) BOGGS, and JACQULYN WIEDERHOLT, Plaintiffs, 15 V. 16 17 18 19 HG STAFFING, LLC, MEI-GSR HOLDINGS, LLC d/b/a GRAND SIERRA RESORT, and DOES 1 through 50, inclusive, Case No. 3:13-cv-00453-LRH-WGC STIPULATION AND ORDER EXTENDING THE TIME TO FILE REPLIES IN SUPPORT OF DEFENDANTS’ MOTIONS FOR SUMMARY JUDGMENT (Second Request) Defendants. 20 Plaintiffs, TIFFANY SARGENT, BAILEY CRYDERMAN, VINCENT M. IGNACIO, 21 22 23 SAMANTHA L. IGNACIO (formerly SCHNEIDER), HUONG (“ROSIE”) BOGGS, and JACQULYN WIEDERHOLT (“Plaintiffs) and Defendants HG STAFFING, LLC, and MEIGSR HOLDINGS, LLC d/b/a GRAND SIERRA RESORT (“Defendants” or “GSR”), by and 24 through their respective counsel of record, agree to extend the time for Defendants to file their 25 replies in support of Defendants’ six (6) dispositive motions by one (1) month, from the current 26 deadline of May 4, 2018, to on or before June 4, 2018. This extension is requested in good faith 27 as the parties have entered into settlement negotiations and wish to avoid further litigation 28 Page 1 of 3 Case 3:13-cv-00453-LRH-WGC Document 276 Filed 05/02/18 Page 2 of 2 1 expenses which could impede settlement. This request is also necessary because six (6) replies 2 in support of Defendants’ motion for summary judgment need to be filed, and because Plaintiffs’ 3 oppositions to Defendants’ motions for summary judgment involve newly reinstated state law 4 wage claims which are of a complex and fact intensive nature, all of which require additional 5 time to analyze the newly asserted facts and law, and draft replies in support of the motions for 6 summary judgment. 7 Accordingly, based on the foregoing and for good cause appearing, the parties, by and 8 through their respective counsel of record, do hereby stipulate and agree that the time for 9 Defendants to file their six (6) replies in support of Defendants’ renewed motions for summary judgment, is extended by (1) month and is now due on Monday, June 4, 2018. 11 12 375 E. Warm Springs Road, Ste. 104 Las Vegas, Nevada 89119 (702) 823-3500 FAX: (702) 823-3400 COHEN|JOHNSON|PARKER|EDWARDS 10 13 14 15 16 17 18 Dated this 2nd day of May 2018. COHEN|JOHNSON|PARKER|EDWARDS THIERMAN BUCK, LLP By: /s/ H. Stan Johnson H. Stan Johnson, Esq. Nevada Bar No. 00265 Chris Davis, Esq. Nevada Bar No. 6616 375 E Warm Springs Rd., Suite 104 Las Vegas, Nevada 89119 Attorneys for Defendants _ By: /s/ Leah L. Jones, Esq. Leah L. Jones, Esq. Nevada Bar No. 13161 7287 Lakeside Drive Reno, Nevada 89511 Attorneys for Plaintiffs 19 20 ORDER 21 22 23 IT IS SO ORDERED. DATED this 3rd day of May, 2018. day of 24 25 26 JUDGE , 2018. ________________________________ LARRY R. HICKS UNITED STATES DISTRICT JUDGE 27 28 Page 2 of 2 _

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