Filed: Jun. 21, 2019
Latest Update: Jun. 21, 2019
Summary: STIPULATION AND ORDER FOR EXTENSION OF TIME FOR DEFENDANT TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (FIRST REQUEST) ANDREW P. GORDON , District Judge . Plaintiff SHAWN JAFFEE and DEREK KRITZ ("Plaintiffs"), by and through their counsel of record, Gabroy Law Offices and Theodora Oringher PC, and Defendant WYNN LAS VEGAS, LLC ("Defendant"), by and through its counsel of record, Brownstein Hyatt Farber Schreck, LLP, hereby stipulate and agree pursuant to Local Rule IA 6-1 to extend the de
Summary: STIPULATION AND ORDER FOR EXTENSION OF TIME FOR DEFENDANT TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (FIRST REQUEST) ANDREW P. GORDON , District Judge . Plaintiff SHAWN JAFFEE and DEREK KRITZ ("Plaintiffs"), by and through their counsel of record, Gabroy Law Offices and Theodora Oringher PC, and Defendant WYNN LAS VEGAS, LLC ("Defendant"), by and through its counsel of record, Brownstein Hyatt Farber Schreck, LLP, hereby stipulate and agree pursuant to Local Rule IA 6-1 to extend the dea..
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STIPULATION AND ORDER FOR EXTENSION OF TIME FOR DEFENDANT TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS
(FIRST REQUEST)
ANDREW P. GORDON, District Judge.
Plaintiff SHAWN JAFFEE and DEREK KRITZ ("Plaintiffs"), by and through their counsel of record, Gabroy Law Offices and Theodora Oringher PC, and Defendant WYNN LAS VEGAS, LLC ("Defendant"), by and through its counsel of record, Brownstein Hyatt Farber Schreck, LLP, hereby stipulate and agree pursuant to Local Rule IA 6-1 to extend the deadline for Defendant to file its Reply In Support of Its Motion to Dismiss (ECF No. 21) and state as follows:
1. On May 22, 2019, Defendant filed its Motion to Dismiss (the "Motion") (ECF No. 21).
2. Plaintiffs filed their response to the Motion on June 19, 2019 after receiving a 14day extension from this Court.
3. Defendant's reply is currently due on June 26, 2019.
4. Defendant has requested seven (7) additional days to file its reply in support of the
Motion and Plaintiffs have agreed to grant such additional time.
5. This stipulation is brought in good faith by both parties and not for purposes of delay. This extension will not result in undue delay in in the administration of this case, as discovery has been stayed by the magistrate.
6. No extension of time or continuance has previously been requested by Defendant with respect to the reply.
IT IS THEREFORE STIPULATED by and among the parties that the deadline for Defendant to file its reply in support of the Motion is extended up to and including July 3, 2019.
/s/Kaine M. Messer /s/Travis F. Chance
CHRISTIAN J. GABROY, ESQ. MICHAEL A. FREIMANN, ESQ.
KAINE M. MESSER, ESQ. (admitted Pro Hac Vice)
MARTINE T. WELLS, ESQ.
JON R. MOWER, ESQ. (admitted Pro Hac Vice)
THEODORA ORINGHER PC TRAVIS F. CHANCE, ESQ.
Attorneys for Plaintiffs Attorneys for Defendant Wynn Las Vegas, LLC
IT IS SO ORDERED.