Hawkins v. Aria Resort & Casino Holdings, LLC
This text of Hawkins v. Aria Resort & Casino Holdings, LLC (Hawkins v. Aria Resort & Casino Holdings, LLC) is published on Counsel Stack Legal Research, covering District Court, D. Nevada primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
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 Defendant Aria Resort & Casino 7 Holdings, LLC 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 13 v. EXTEND TIME FOR DEFENDANT TO FILE ITS REPLY BRIEF IN SUPPORT 14 ARIA RESORT & CASINO HOLDINGS, OF MOTION TO STRIKE [ECF NO. 9] LLC, a domestic limited liability company; AND MOTION TO DISMISS [ECF NO. 8] 15 KARINA DOE; SEAN DOE; and JOHN DOE, (First Request) 16 17 Defendants. 18 19 Plaintiff Tamika Hawkins (“Plaintiff”) and Defendant Aria Resort & Casino Holdings, 20 LLC (“Defendant”), by and through their undersigned counsel of record, hereby stipulate and 21 agree to the following: 22 1. On September 6, 2023, Defendant filed its Motion to Dismiss Plaintiff’s 23 Complaint and Motion to Strike (together, the “Motions”). [ECF Nos. 8-9.] 24 2. Thereafter, on September 15, 2023, the parties filed a Stipulation and Order 25 Extending Time for Plaintiff to file a Response to the Motions, which was subsequently granted 26 by the Court. [ECF Nos. 12-13.] As a result of the parties’ stipulation, the deadline for 27 Plaintiff’s Response was extended to September 29, 2023, and Defendant’s Reply brief was due 1 3. Plaintiff filed her Responses to the Motions on September 29, 2023. [ECF Nos. 2 || 14-15.] 3 4. While Defendant’s counsel has been diligently working on the Reply brief, they 4 require additional time to confer with their client as to its contents before filing. As such, the 5 || parties hereby stipulate and agree that the deadline for Defendant’s Reply brief shall be extended 6 || by one (1) week, up to and including October 13, 2023. 7 This Stipulation is made in good faith, and not for purposes of delay. 8 || Respectfully submitted this 5th day of October, 2023. CLARK HILL PLLC SEMENZA RICKARD LAW 10 /s/ Paola M. Armeni /s/ Lawrence J. Semenza, Ill 11 || PAOLA M. ARMENI LAWRENCE J. SEMENZA, HI, ESQ. Nevada Bar No. 8357 Nevada Bar No. 7174 12 || 1700 S. Pavilion Center Drive, Suite #500 KATIE L. CANNATA, ESQ. Las Vegas, Nevada 89135 Nevada Bar No. 14848 13 1061 Park Run Drive, Suite 150 KAFOURY & McDOUGAL Las Vegas, NV 89145 14 JASON KAFOURY Attorneys for Defendants Oregon Bar No. 091200 28 15 ||411 SW 2"™ Avenue, Suite 200 Portland OR 97204 4 2 16 ||Attorneys for Plaintiff
17 18 19 IT IS SO ORDERED. ‘ Ga at Adal fA 4.9 len A UNITED; STATES DISTRICT JUDGE 20 DATED: October 6, 2023 21 22 23 24 25 26 27 28
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Hawkins v. Aria Resort & Casino Holdings, LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/hawkins-v-aria-resort-casino-holdings-llc-nvd-2023.