Hawkins v. Aria Resort & Casino Holdings, LLC
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 Defendants 7
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
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