Haro, III v. Thomas Keller Restaurant Group
Trial Court Opinion
1 FERNANDO HARO III P.O. BOX 81972 LAS VEGAS, NV 89180 (702) 918-1910 [email protected] IN PROPER PERSON UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA FERNANDO HARO III, an individual; CASE NO.: 2:20-cv-02113-APG-DJA 9 Plaintiff, vs. STIPULATION AND ORDER TO KRM, INC. d.b.a. “THOMAS KELLER EXTEND TIME FOR PLAINTIFF TO RESTAURANT GROUP”, a foreign FILE REPLY IN SUPPORT OF corporation; and KVP, LP d.b.a. “BOUCHON MOTION TO FILE DECLARATION AT THE VENETIAN,” a foreign Limited AND ADDITIONAL EVIDENCE Liability Company; (Second Request) 15 Defendants.
18 Pursuant to Local Rule IA 7-1, Plaintiff Fernando Haro III, in proper person, and Defendants KRM, Inc, d.b.a Thomas Keller Restaurant Group (“KRM”) and KVP, LP d.b.a.
Bouchon at the Venetian (“Bouchon”) (collectively, “Defendants”), by and through their attorneys, Robert S. Larsen, Esq. and Dione C. Wrenn, Esq. of the law firm of Gordon Rees Scully Mansukhani LLP, hereby stipulate and agree as follows: 1. On January 10, 2022, Plaintiff filed a Motion for Leave to File Declaration and Additional Evidence. ECF No. 55.
28 1 1 2. On January 24, 2022, Defendants filed their response in Opposition to Plaintiff’s Motion to File Declaration and Additional Evidence. ECF No. 62.
3. The deadline for Plaintiff to file a reply in support of his Motion for Leave to File Declaration and Additional Evidence was January 31, 2022.
6 4. Due to illness, Plaintiff was unable to file his reply by January 31, 2022.
7 5. Plaintiff requested an extension to February 8, 2022, to file his reply.
8 6. Due to continued illness, Plaintiff is unable to file his reply by February 8, 2022.
7. Plaintiff requests a one (1) week extension to February 15, 2022, to file his reply.
8. There are currently no scheduled hearings in this case and Plaintiff’s sought extension will not unduly delay the proceedings.
13 9. Defendants do not oppose an extension up to and including February 15, 2022.
14 8. Accordingly, Plaintiff shall have until February 15, 2022, to file his reply in support of his Motion for Leave to File Declaration and Additional Evidence. // // // // // // // // // // 28 2 ||DATED this 8th day of February 2022 DATED this 8th day of February 2022 2 GORDON REES SCULLY FERNANDO HARO II || MANSUKHANI 5 Dione C. Wrenn /s/ Fernando Haro |} ROBERT S. LARSEN, ESQ. FERNANDO HARO III Nevada Bar No. 7785 P.O. Box 81972 DIONE C. WRENN, ESQ. Las Vegas, NV 89180 g || Nevada Bar No. 13285 Plaintiff in Proper Person 300 South 4" Street, Suite 1550 9 Vegas, Nevada 89101 Attorneys for Defendants, KRM, Inc, d.b.a. Thomas Keller Restaurant ||Group and KVP, LP d.b.a. Bouchon at the Venetian B IT IS SO ORDERED.
15 UNITED STATES DISTRICT JUDGE DATED: February 9, 2022
Case-law data current through December 31, 2025. Source: CourtListener bulk data.