- 1 Lawrence J. Semenza, III, Esq., Bar No. 7174 Email: ljs@semenzarickard.com 2 Katie L. Cannata, Esq., Bar No. 14848 Email: klc@semenzarickard.com 3 SEMENZA RICKARD LAW 10161 Park Run Drive, Suite 150 4 Las Vegas, Nevada 89145 5 Telephone: (702) 835-6803 Facsimile: (702) 920-8669 6 Attorneys for Defendants 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 TAMIKA HAWKINS, individually, Case No. 2:23-cv-01018-JCM-NJK 11 Plaintiff, 12 STIPULATION AND ORDER TO v. EXTEND TIME FOR DEFENDANTS TO 13 FILE THEIR REPLY BRIEF IN ARIA RESORT & CASINO HOLDINGS, SUPPORT OF MOTION TO DISMISS 14 LLC, a domestic limited liability company; PLAINTIFF'S SECOND AMENDED KARINA HERNANDEZ; SEAN COMPLAINT [ECF NO. 75] 15 RANDALL, 16 (First Request) Defendants. 17 18 19 Plaintiff Tamika Hawkins (“Plaintiff”) and Defendants Aria Resort & Casino Holdings, 20 LLC, Karina Hernandez and Sean Randall (together "Defendants"), by and through their 21 undersigned counsel of record, hereby stipulate and agree to the following: 22 1. On July 5, 2024, Defendants filed a Motion to Dismiss Plaintiff's Second 23 Amended Complaint (the "Motion to Dismiss"). [ECF No. 75.] 24 2. On July 11, 2024, the parties stipulated to extend the deadline for Plaintiff's 25 Response to the Motion to Dismiss by fourteen (14) days. [ECF No. 76.] The Court granted the 26 parties' stipulation on August 2, 2024. [ECF No. 79.] 27 /// 1 3. Subsequently, on July 31, 2024, the parties entered into a second stipulation to 2 || extend the deadline for Plaintiff's Response, up to and including August 9, 2024. [ECF No. 77.] 3 || The parties’ second stipulation was granted that same day. [ECF No. 78.] 4 4. Plaintiff filed her Response to Defendants’ Motion to Dismiss on August 9, 2024. 5 || [ECF No. 80.] Defendants' Reply brief is currently due on August 16, 2024. 6 5. While Defendants’ counsel has been diligently working on the Reply brief, they 7 ||require additional time to confer with their client as to its contents before filing. As such, the g || parties hereby stipulate and agree that the deadline for Defendants’ Reply brief shall be extended || by one (1) week, up to and including August 23, 2024. 10 This Stipulation is made in good faith, and not for purposes of delay. 1] || Respectfully submitted this 15th day of August 2024. 12 CLARK HILL PLLC SEMENZA RICKARD LAW 13 /s/_ Paola _M. Armeni /s/ Katie L. Cannata SQ 14 || PAOLA M. ARMENI LAWRENCE J. SEMENZA, III, ESQ. evada Bar No. evada Bar No. Nevada Bar No. 8357 Nevada Bar No. 7174 15 || 1700 S. Pavilion Center Drive, Suite #500 KATIE L. CANNATA, ESQ. Las Vegas, Nevada 89135 Nevada Bar No. 14848 a2 16 1061 Park Run Drive, Suite 150 KAFOURY & McDOUGAL Las Vegas, Nevada 89145 17 ||JASON KAFOURY Attorneys for Defendants Oregon Bar No. 091200 18 |}411 SW 2" Avenue, Suite 200 Portland, Oregon 97204 19 || Attorneys for Plaintiff 20 21 IT ISSO ORDERED. CB. (iu) Atalla UNITED STATES DISTRICT JUDGE 23 DATED: August 16, 2024 24 25 26 27 28
Document Info
Docket Number: 2:23-cv-01018
Filed Date: 8/16/2024
Precedential Status: Precedential
Modified Date: 11/2/2024