Filed: Aug. 01, 2019
Latest Update: Aug. 01, 2019
Summary: STIPULATION AND ORDER SETTING BRIEFING SCHEDULE TO DEFENDANT'S AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE, FOR A STAY (First Request) [ECF No. 55] JENNIFER A. DORSEY , District Judge . Plaintiff Jessica Demesa and Defendant Treasure Island, LLC, by and through their respective counsel, hereby stipulate and agree as follows: 1. Defendant filed, pursuant to Court Order, (ECF No. 53) its AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE,
Summary: STIPULATION AND ORDER SETTING BRIEFING SCHEDULE TO DEFENDANT'S AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE, FOR A STAY (First Request) [ECF No. 55] JENNIFER A. DORSEY , District Judge . Plaintiff Jessica Demesa and Defendant Treasure Island, LLC, by and through their respective counsel, hereby stipulate and agree as follows: 1. Defendant filed, pursuant to Court Order, (ECF No. 53) its AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE, F..
More
STIPULATION AND ORDER SETTING BRIEFING SCHEDULE TO DEFENDANT'S AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE, FOR A STAY
(First Request)
[ECF No. 55]
JENNIFER A. DORSEY, District Judge.
Plaintiff Jessica Demesa and Defendant Treasure Island, LLC, by and through their respective counsel, hereby stipulate and agree as follows:
1. Defendant filed, pursuant to Court Order, (ECF No. 53) its AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE, FOR A STAY (ECF No. 54) on Friday, July 26, 2019.
2. Counsel for both parties have met and conferred about the time frame to file their respective opposition and reply to the pending motion. In consideration of the parties' work schedules and previous vacation plans, counsel have agreed, subject to Court approval, to the following briefing schedule for the pending motion:
• August 29, 2019: Plaintiff's opposition brief is due;
• September 30, 2019: Defendant's reply brief is due.
3. This is the first stipulation for such an extension of time and is made in good faith not for purposes of delay.
DATED this 31st day of July, 2019.
THE O'MARA LAW FIRM, P.C. BALLARD SPAHR LLP
By: /s/ David C. O'Mara By: /s/ Stacy H. Rubin
David C. O'Mara, Esq. Joel E. Tasca, Esq.
Nevada Bar No. 8599 Nevada Bar No. 14124
311 East Liberty Street Stacy H. Rubin, Esq.
Reno, Nevada 89501 Nevada Bar No. 9298
1980 Festival Plaza Drive, Suite 900
Lionel Z. Glancy (admitted pro hac vice) Las Vegas, Nevada 89135
Marc L. Godino (admitted pro hac vice)
Danielle L. Manning (admitted pro hac vice) Attorneys for Defendant
1925 Century Park East, Suite 2100
Los Angeles, California 90067
Telephone: (310) 201-9150
Facsimile: (310) 201-9160
E-mail: info@glancylaw.com
GREENSTONE LAW APC
Mark S. Greenstone (admitted pro hac vice)
1925 Century Park East, Suite 2100
Los Angeles, California 90067
Telephone: (310) 201-9156
Facsimile: (310) 201-9160
E-mail: mgreenstone@greenstonelaw.com
Attorneys for Plaintiff
ORDER GRANTING STIPULATION TO EXTEND BRIEFING DEADLINES REGARDING DEFENDANT'S AMENDED MOTION TO DISMISS FIRST AMENDED COMPLAINT, OR IN THE ALTERNATIVE, FOR A STAY
IT IS SO ORDERED.