Filed: Dec. 09, 2016
Latest Update: Dec. 09, 2016
Summary: STIPULATED REQUEST FOR PRETRIAL CONFERENCE (FIRST REQUEST) CAM FERENBACH , Magistrate Judge . STIPULATED REQUEST FOR PRETRIAL CONFERENCE Plaintiffs Rama Sou, Tai Bui, and Scott Zimmerman (collectively, "Plaintiffs"), on the one hand, and defendants Michael Bash, Jeremy Bash, Berkley Enterprises, Inc., Pepperdine Enterprises, Inc., Ninety-Five Fort Apache Complex, LLC, and Royal View, LLC (collectively, "Defendants"), on the other hand, by and through their respective counsel, hereby stipu
Summary: STIPULATED REQUEST FOR PRETRIAL CONFERENCE (FIRST REQUEST) CAM FERENBACH , Magistrate Judge . STIPULATED REQUEST FOR PRETRIAL CONFERENCE Plaintiffs Rama Sou, Tai Bui, and Scott Zimmerman (collectively, "Plaintiffs"), on the one hand, and defendants Michael Bash, Jeremy Bash, Berkley Enterprises, Inc., Pepperdine Enterprises, Inc., Ninety-Five Fort Apache Complex, LLC, and Royal View, LLC (collectively, "Defendants"), on the other hand, by and through their respective counsel, hereby stipul..
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STIPULATED REQUEST FOR PRETRIAL CONFERENCE (FIRST REQUEST)
CAM FERENBACH, Magistrate Judge.
STIPULATED REQUEST FOR PRETRIAL CONFERENCE
Plaintiffs Rama Sou, Tai Bui, and Scott Zimmerman (collectively, "Plaintiffs"), on the one hand, and defendants Michael Bash, Jeremy Bash, Berkley Enterprises, Inc., Pepperdine Enterprises, Inc., Ninety-Five Fort Apache Complex, LLC, and Royal View, LLC (collectively, "Defendants"), on the other hand, by and through their respective counsel, hereby stipulate as follows:
Pursuant to D. Nev. LR 6-1 and 16-2, as well as the Court's Minute Order of November 9, 2016 [ECF Dkt. 98] and counsel for Defendants' appearance on December 3, 2016, the parties request a pretrial conference regarding outstanding discovery and the depositions as stated on the record during the November 9, 2016 hearing on Defendants' Motion to Withdraw as Attorney [ECF Dkt. 92].
The parties further request that the conference take place after 10:00 a.m. on Monday, December 12, 2016, or at another time thereafter which may be convenient for the court. The parties' request for a Monday hearing on the pretrial conference is premised on the fact that Mr. Edward Suh, counsel for Plaintiffs, has already made plans to travel from California to Las Vegas for the depositions of Jeremy Bash, Michael Bash, Berkley Enterprises, Inc., and Ninety-Five Fort Apache Complex, LLC. These depositions were noticed for December 12, 13, and 14, respectively.1 Notice of these depositions preceded appearance of new counsel for defendants in this case on December 3, 2016.2
IT IS SO STIPULATED.
IT IS SO ORDERED.
FootNotes
1. Specifically, on November 21, 2016, Plaintiffs noticed the deposition of Jeremy Bash was noticed for December 12, 2016, and Michael Bash for December 13, 2016. Copies of these depositions were mailed to defendants at their appropriate contact addresses. On November 30, 2016, having not received notification that the individual defendants had retained new counsel, Plaintiffs noticed the depositions of Ninety-Five Fort Apache Complex, LLC (December 14, 2016, at 9:00 a.m.), and Berkley Enterprises, Inc. (December 14, 2016, at 1:00 p.m.). On November 30, 2016, Plaintiffs also noticed the depositions of Royal View, LLC (December 19, 2016 at 9:00 a.m.), and Pepperdine Enterprises, Inc. (December 19, 2016, at 1:00 p.m.). Copies of all 30(b)(6) deposition notices were mailed to the addresses listed on the Nevada Secretary of State website.
2. On December 3, 2016, new counsel for defendants noticed his appearance. ECF Dkt. 99. Later that day, counsel for plaintiffs provided courtesy copies of all six deposition notices to defendants' counsel.