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Gaj v. Wynn, 2:19-cv-00505-KJD-CWH. (2019)

Court: District Court, D. Nevada Number: infdco20190806d02 Visitors: 7
Filed: Aug. 01, 2019
Latest Update: Aug. 01, 2019
Summary: STIPULATION TO EXTEND BRIEFING SCHEDULE (FIRST REQUEST) KENT J. DAWSON , District Judge . This is the first stipulation to extend the briefing schedule for defendant Marc D. Schorr's Motion to Dismiss Complaint (Doc No. 67). WHEREAS, on June 25, 2019, plaintiff Dusitn Gaj ("Plaintiff") and all defendants except defendant Marc D. Schorr ("Schorr") submitted a stipulation setting forth the following briefing schedule regarding motions to dismiss: (1) defendant Stephen Cootey ("Cootey") may
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STIPULATION TO EXTEND BRIEFING SCHEDULE

(FIRST REQUEST)

This is the first stipulation to extend the briefing schedule for defendant Marc D. Schorr's Motion to Dismiss Complaint (Doc No. 67).

WHEREAS, on June 25, 2019, plaintiff Dusitn Gaj ("Plaintiff") and all defendants except defendant Marc D. Schorr ("Schorr") submitted a stipulation setting forth the following briefing schedule regarding motions to dismiss: (1) defendant Stephen Cootey ("Cootey") may file a response to the complaint on or before June 26, 2019; (2) defendant Kimmarie Sinatra ("Sinatra") may file a response to the complaint on or before July 8, 2019; and (3) Plaintiff shall file an omnibus opposition to the already pending motions to dismiss and any motions to dismiss (Doc. Nos. 56 and 53) filed by Cootey or Sinatra on or before August 8, 2019, and defendants (with the exception of defendant Schorr) shall file their replies by September 2, 2019 (the "Scheduling Stipulation") (Doc. No. 51);

WHEREAS, on June 28, 2019, the Court approved and entered the Scheduling Stipulation (Doc. No. 55);

WHEREAS, prior to the entry of the Scheduling Stipulation, counsel for defendant Schorr had not yet appeared as counsel or accepted service;

WHEREAS, on July 10, 2019, defendant Schorr filed the Stipulation Regarding Acceptance of Service By Marc D. Schorr ("Service Stipulation") (Doc. No. 62);

WHEREAS, on July 16, 2019, the Court granted the Service Stipulation (Doc. No. 65);

WHEREAS, on July 18, 2019, defendant Schorr filed: (1) a motion to dismiss (Doc. No. 67); and (2) a notice of joinder in the Wynn Resort Defendants' and defendant Sinatra's motions to dismiss (Doc. No. 68) (together, "Defendant Schorr's Motion to Dismiss");1

WHEREAS, Plaintiff and defendant Schorr respectfully submit that a unified briefing schedule will serve judicial efficiency and conserve resources; and

WHEREAS, Plaintiff's counsel and defendant Schorr's counsel have met and conferred and agree that briefing on Defendant Schorr's Motion to Dismiss shall be on the same schedule as that for all other defendants;

NOW THEREFORE, IT IS HEREBY STIPULATED AND AGREED by Plaintiff and defendant Schorr, through their respective counsel of record, as follows:

1. Plaintiff's opposition to Defendant Schorr's Motion to Dismiss shall be incorporated into his omnibus opposition to be filed on or before August 8, 2019, pursuant to the Scheduling Stipulation; and

2. Defendant Schorr shall file his reply on or before September 2, 2019.

Dated: July 29, 2019 Respectfully submitted, /s/Steven R. Wedeking STEVEN R. WEDEKING ASHLEY R. RIFKIN BRIAN J. ROBBINS CRAIG W. SMITH ROBBINS ARROYO LLP 5040 Shoreham Place San Diego, CA 92122 Telephone: (619) 525-3990 Facsimile: (619) 525-3991 E-mail: arifkin@robbinsarroyo.com brobbins@robbinsarroyo.com csmith@robbinsarroyo.com swedeking@robbinsarroyo.com JOHN P. ALDRICH ALDRICH LAW FIRM, LTD. 7866 West Sahara Avenue Las Vegas, NV 89117 Telephone: (702) 853-5490 Facsimile: (702) 227-1975 E-mail: jaldrich@johnaldrichlawfirm.com Attorneys for Plaintiff Dustin Gaj Dated: July 29, 2019 /s/Richard A. Schonfeld Richard A. Schonfeld David Z. Chesnoff CHESNOFF & SCHONFELD, PC 520 S. 4th Street, Las Vegas, Nevada, 89101 Telephone: (702) 384-5563 Facsimile: (702) 598-1425 E-mail: dzchenoff@cslawoffice.net rschonfeld@cslawoffice.net Attorney for Defendant Marc D. Schorr

IT IS SO ORDERED.

FootNotes


1. "Wynn Resort Defendants" refers to defendants Matthew Maddox, D. Boone Wayson, Alvin V. Shoemaker, John J. Hagenbuch, Robert J. Miller, Ray R. Irani, Patricia Mulroy, Clark T. Randt, Jr., Jay L. Johnson, J. Edward Virtue, Craig S. Billings, and nominal defendant Wynn Resorts, Ltd.
Source:  Leagle

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