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Carter v. Wynn Las Vegas, LLC, 2:16-cv-02697-APG-CWH. (2019)

Court: District Court, D. Nevada Number: infdco20190712d17 Visitors: 14
Filed: Jul. 11, 2019
Latest Update: Jul. 11, 2019
Summary: STIPULATION AND ORDER TO STAY PROCEEDINGS PENDING RESOLUTION OF DEFENDANT WYNN LAS VEGAS LLC'S MOTION FOR JUDGMENT ON THE PLEADING CARL W. HOFFMAN , Magistrate Judge . The parties, by and through their respective counsel of record, stipulate and request that the Court stay these proceedings pending resolution of resolution of Defendant Wynn Las Vegas, LLC's Motion for Judgment on the Pleadings (ECF No. 24). In support of this Stipulation and Request, the parties state as follows: 1. Defen
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STIPULATION AND ORDER TO STAY PROCEEDINGS PENDING RESOLUTION OF DEFENDANT WYNN LAS VEGAS LLC'S MOTION FOR JUDGMENT ON THE PLEADING

The parties, by and through their respective counsel of record, stipulate and request that the Court stay these proceedings pending resolution of resolution of Defendant Wynn Las Vegas, LLC's Motion for Judgment on the Pleadings (ECF No. 24). In support of this Stipulation and Request, the parties state as follows:

1. Defendant filed its Motion for Judgment on the Pleadings ("Motion") on June 7, 2019. (ECF No. 24). 2. Plaintiffs filed their Response in Opposition to Defendants' Motion for Judgment on the Pleadings on June 21, 2019 (ECF No. 26), and Defendant filed its Reply in Support of Motion for Judgment on the Pleadings on June 28, 2019 (ECF No. 27). 3. Based on the disposition of Defendant's Motion for Judgment on the Pleadings, judgment may be granted in favor of Defendant in whole or in part, or the case may be allowed to proceed in its current form. Accordingly, the parties believe it would be prudent to stay proceedings in this matter to conserve expenditures and resources until a decision is made on Defendant's Motion. 4. The parties agree that if this case survives the Motion, they will work cooperatively to submit appropriate deadlines to complete discovery within two weeks of the Court's decision and continue to move this case forward. 5. This request to stay proceedings is not sought for any improper purpose or other reason of delay. Rather, it is sought only conserve the parties' respective resources while awaiting the Court's decision on Defendant's pending Motion.

WHEREFORE, the parties respectfully request that the Court stay proceedings in this case until the resolution of Defendant's Motion for Judgment on the Pleadings.

Respectfully Submitted, Respectfully Submitted, /s/ Kaine Messer /s/ Kaitlin H. Paxton Jon R. Mower, Esq. Pro Hac Vice Scott M. Abbott, Esq. #4500 THEODORA ORGINGHER PC Kaitlin H. Paxton, Esq. #13625 535 Anton Boulevard, Ninth Floor KAMER ZUCKER ABBOTT Costa Mesa, California 92626 3000 West Charleston Boulevard, Suite 3 Tel: (714) 549-6200 Las Vegas, Nevada 89102 Fax: (714) 549-6201 Tel: (702) 259-8640 Fax: (702) 259-8646 Christian Gabroy, Esq. #8805 Attorneys for Defendant Kaine Messer, Esq. #14240 Wynn Las Vegas, LLC GABROY LAW OFFICES 170 South Green Valley Parkway, Suite 280 Henderson, Nevada 89012 Tel: (702) 259-7777 Fax: (702) 259-7704 Attorneys for Plaintiffs

IT IS SO ORDERED.

Source:  Leagle

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